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Category:Legal-Intervention Petition
MONTHYEARML11346A3012011-06-27027 June 2011 Declaration of Joseph R. Lynch, Lori Ann Potts, and Dr. Kevin R. O'Kula in Support of Entergy'S Answer Opposing Pilgrim Watch Request for Hearing on a New Contention Regarding Inadequacy of Environmental Report, Post-Fukushima ML1102503532011-01-0101 January 2011 Pilgrim Watch Reply to Entergy'S Request to Change the Hearing Date ML1100401252010-12-27027 December 2010 Entergy Answer Opposing Pilgrim Watch Request for Hearing on a New Contention ML1033403262010-11-22022 November 2010 Pilgrim Watch Reply to Order (October 26, 2010) - Questions from Board Majority Regarding the Mechanics of Computing Mean Consequences ML1030810622010-11-0303 November 2010 Response to Pilgrim Watch October 27 Letter Regarding Pilgrim Watch 6th and 7th Supplemental Disclosures ML1028711332010-10-0808 October 2010 Pilgrim Watch Reply to Entergy'S & NRC Staff'S Briefs Regarding Timeliness of Pilgrim Watch'S Raising Averaging Practice Concerns ML1027203992010-09-21021 September 2010 Entergy'S Response to Pilgrim Watch'S Memo Re Proposed Schedule ML1027307882010-09-21021 September 2010 Pilgrim Watch'S Reply to Entergy'S Response to Pilgrim Watch'S Memo Regarding Proposed Schedule ML1027307892010-09-21021 September 2010 Memo Regarding Proposed Schedule ML1021104482010-07-25025 July 2010 Pilgrim Watch Notice to Commission Regarding New and Significant Information Pertaining to Pilgrim Watch'S Petition for Review of LBP-06-848 ML1020900242010-07-19019 July 2010 Pilgrim Watch 2.206 Petition Regarding Inadequacy of Entergy'S Management of Non-Environmentally Qualified Inaccessible Cables & Wiring at Pilgrim Station ML1018000932010-06-28028 June 2010 NRC Staff'S Opposition to Pilgrim Watch'S Motion Requesting Leave to File Response to Judge Paul B. Abramson Decision on Recusal Motion (June 10, 2010) ML1018004862010-06-23023 June 2010 Entergy'S Opposition to Pilgrim Watch'S Motion Requesting Leave to File Response to Judge Abramson'S Decision on Recusal Motion ML1017301832010-06-16016 June 2010 Pilgrim Watch Response to Judge Paul B. Abramson Decision on Recusal Motion ML1014605742010-05-21021 May 2010 Entergy'S Opposition to Pilgrim Watch Motion to Disqualify Judge Abramson ML1014402032010-05-17017 May 2010 Entergy'S Reply to Pilgrim Watch'S Response to Aslb'S May 5, 2010 Order ML1015404212010-05-17017 May 2010 Pilgrim Watch'S Reply to Entergy'S Submission on Scope and Schedule for Remanded Hearing ML1014503232010-05-17017 May 2010 Pilgrim Watch'S Reply to NRC Staff'S Initial Brief to the Board'S Order (Regarding Deadlines for Submission of Parties) ML1014107452010-05-12012 May 2010 Pilgrim Watch Response to Aslb'S May 5, 2010 Order ML1014107432010-05-12012 May 2010 Entergy'S Submission on Scope and Schedule for Remanded Hearing ML1010504322010-04-15015 April 2010 NRC Staff'S Response in Opposition to Pilgrim Watch'S Motion for Reconsideration of CLI-10-11 ML1010408202010-04-0808 April 2010 Entergy'S Opposition to Pilgrim Watch'S Motion for Reconsideration of CLI-10-11 ML1010408192010-04-0707 April 2010 Entergy'S Opposition to Pilgrim Watch'S Motion to Reschedule Telephone Conference ML1010408212010-04-0707 April 2010 Entergy'S Opposition to Town of Plymouth'S Motion to Reschedule Telephone Conference ML1004808082010-02-0202 February 2010 Pilgrim Watch'S Reply to NRC Staff'S Response to Pilgrim Watch Notice to Commission Regarding New & Significant Information Pertaining to Pilgrim Watch'S Petition for Review of LBP-06-848 ML0823700122008-08-19019 August 2008 Pilgrim - Notice of Withdrawal of Appearance for James E. Adler ML0816402452008-05-15015 May 2008 2008/05/15-Supplemental Petition by Listed Companies for Additional Investigation and Correction of Deficiencies Regarding License Renewal Reviews, for Oyster Creek, Indian Point, Pilgrim, and Vermont Yankee Nuclear Power Plants ML0814906102008-05-15015 May 2008 2008/05/15-Supplemental Petition by Collective Petitioners for Additional Investigation and Correction of Deficiencies Regarding License Renewal Reviews for Oyster Creek, Indian Point, Pilgrim, and Vermont Yankee Nuclear Power Plants ML0814306512008-05-15015 May 2008 Supplemental Petition by Nuclear Information and Resource Service: Jersey Shore Nuclear Watch, Inc.: Grandmothers, Mothers and More for Energy Safety: New Jersey Public Interest Research Group: New Jersey Sierra Club: New Jersey.. ML0808600962008-03-17017 March 2008 Pilgrim Watch Reply to NRC Staff'S Motion in Limine to Strike Exhibits and Testimony Filed by Pilgrim Watch, March 10, 2008 ML0808600952008-03-17017 March 2008 Pilgrim Watch Reply to Entergy'S Motion in Limine to Strike Exhibits and Testimony Filed by Pilgrim Watch, March 10, 2008 ML0807402022008-03-0707 March 2008 Entergy'S Eleventh Supplemental Disclosure ML0802904142008-01-18018 January 2008 2008/01/18-Answer of Entergy Nuclear Operation, Inc. Opposing Petition to Suspend License Renewal Reviews and Proceedings ML0802803052008-01-18018 January 2008 2008/01/18-NRC Staff Answer to Petition for Suspension of License Renewal Reviews Pending Investigation of NRC Staff License Renewal Process ML0735403732007-12-14014 December 2007 Entergy'S Eighth Supplemental Disclosure ML0726901592007-09-20020 September 2007 Entergy Nuclear Operations Inc. Answer Opposing Intervention Petition of Local 369, Utility Workers Union of America, AFL-CIO ML0726205402007-09-18018 September 2007 Motion to Intervene of Local 369, Utility Workers Union of America, AFL-CIO ML0721901912007-07-30030 July 2007 Pilgrim Watch'S Answer Opposing NRC Staff'S Motion Requesting That Pilgrim Watch'S Answer Opposing NRC Staff Support of Entergy'S Motion to Strike Pilgrim Watch'S Answer to Entergy'S Summary Disposition Motion Not Be Considered by the Board ML0721302252007-07-26026 July 2007 Pilgrim - Pilgrim Watch'S Answer Opposing NRC Staff'S Support of Entergy'S Motion to Strike Portions of Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Contention 3 ML0720501452007-07-17017 July 2007 Pilgrim - Pilgrim Watch'S Answer Opposing Entergy'S Motion to Strike Portions of Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 3 ML0718405682007-06-29029 June 2007 Pilgrim - Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 3 ML0718000592007-06-28028 June 2007 Pilgrim - NRC Staff Response to Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 1 ML0716303952007-06-0505 June 2007 Pilgrim - Entergy'S Sixth Supplemental Disclosure ML0715002992007-05-24024 May 2007 Pilgrim - Entergy'S Opposition to Pilgrim Watch Request to Extend Time to Respond to Summary Disposition of Pilgrim Watch Contention 3 ML0715201682007-05-22022 May 2007 Pilgrim - Notice of Appearance of Mary Elizabeth Lampert ML0711702672007-04-18018 April 2007 Pilgrim - Second Disclosure Statement by Pilgrim Watch ML0711702602007-04-16016 April 2007 Pilgrim - Entergy'S Fourth Supplemental Disclosure ML0708002172007-03-15015 March 2007 Pilgrim - Entergy'S Third Supplemental Disclosure ML0707301912007-03-0606 March 2007 Pilgrim - Letter to Judge Cole from S. Uttal, OGC Providing (Cd) Version of Safety Evaluation Report with Open Items ML0634803752006-12-0808 December 2006 Pilgrim- Entergy'S Comments on Proposed Schedule 2011-06-27
[Table view] Category:Responses and Contentions
MONTHYEARML11346A3012011-06-27027 June 2011 Declaration of Joseph R. Lynch, Lori Ann Potts, and Dr. Kevin R. O'Kula in Support of Entergy'S Answer Opposing Pilgrim Watch Request for Hearing on a New Contention Regarding Inadequacy of Environmental Report, Post-Fukushima ML1102503532011-01-0101 January 2011 Pilgrim Watch Reply to Entergy'S Request to Change the Hearing Date ML1100401252010-12-27027 December 2010 Entergy Answer Opposing Pilgrim Watch Request for Hearing on a New Contention ML1033403262010-11-22022 November 2010 Pilgrim Watch Reply to Order (October 26, 2010) - Questions from Board Majority Regarding the Mechanics of Computing Mean Consequences ML1030810622010-11-0303 November 2010 Response to Pilgrim Watch October 27 Letter Regarding Pilgrim Watch 6th and 7th Supplemental Disclosures ML1028711332010-10-0808 October 2010 Pilgrim Watch Reply to Entergy'S & NRC Staff'S Briefs Regarding Timeliness of Pilgrim Watch'S Raising Averaging Practice Concerns ML1027203992010-09-21021 September 2010 Entergy'S Response to Pilgrim Watch'S Memo Re Proposed Schedule ML1027307882010-09-21021 September 2010 Pilgrim Watch'S Reply to Entergy'S Response to Pilgrim Watch'S Memo Regarding Proposed Schedule ML1027307892010-09-21021 September 2010 Memo Regarding Proposed Schedule ML1021104482010-07-25025 July 2010 Pilgrim Watch Notice to Commission Regarding New and Significant Information Pertaining to Pilgrim Watch'S Petition for Review of LBP-06-848 ML1020900242010-07-19019 July 2010 Pilgrim Watch 2.206 Petition Regarding Inadequacy of Entergy'S Management of Non-Environmentally Qualified Inaccessible Cables & Wiring at Pilgrim Station ML1018000932010-06-28028 June 2010 NRC Staff'S Opposition to Pilgrim Watch'S Motion Requesting Leave to File Response to Judge Paul B. Abramson Decision on Recusal Motion (June 10, 2010) ML1018004862010-06-23023 June 2010 Entergy'S Opposition to Pilgrim Watch'S Motion Requesting Leave to File Response to Judge Abramson'S Decision on Recusal Motion ML1017301832010-06-16016 June 2010 Pilgrim Watch Response to Judge Paul B. Abramson Decision on Recusal Motion ML1014605742010-05-21021 May 2010 Entergy'S Opposition to Pilgrim Watch Motion to Disqualify Judge Abramson ML1014402032010-05-17017 May 2010 Entergy'S Reply to Pilgrim Watch'S Response to Aslb'S May 5, 2010 Order ML1015404212010-05-17017 May 2010 Pilgrim Watch'S Reply to Entergy'S Submission on Scope and Schedule for Remanded Hearing ML1014503232010-05-17017 May 2010 Pilgrim Watch'S Reply to NRC Staff'S Initial Brief to the Board'S Order (Regarding Deadlines for Submission of Parties) ML1014107452010-05-12012 May 2010 Pilgrim Watch Response to Aslb'S May 5, 2010 Order ML1014107432010-05-12012 May 2010 Entergy'S Submission on Scope and Schedule for Remanded Hearing ML1010504322010-04-15015 April 2010 NRC Staff'S Response in Opposition to Pilgrim Watch'S Motion for Reconsideration of CLI-10-11 ML1010408202010-04-0808 April 2010 Entergy'S Opposition to Pilgrim Watch'S Motion for Reconsideration of CLI-10-11 ML1010408192010-04-0707 April 2010 Entergy'S Opposition to Pilgrim Watch'S Motion to Reschedule Telephone Conference ML1010408212010-04-0707 April 2010 Entergy'S Opposition to Town of Plymouth'S Motion to Reschedule Telephone Conference ML1004808082010-02-0202 February 2010 Pilgrim Watch'S Reply to NRC Staff'S Response to Pilgrim Watch Notice to Commission Regarding New & Significant Information Pertaining to Pilgrim Watch'S Petition for Review of LBP-06-848 ML0823700122008-08-19019 August 2008 Pilgrim - Notice of Withdrawal of Appearance for James E. Adler ML0816402452008-05-15015 May 2008 2008/05/15-Supplemental Petition by Listed Companies for Additional Investigation and Correction of Deficiencies Regarding License Renewal Reviews, for Oyster Creek, Indian Point, Pilgrim, and Vermont Yankee Nuclear Power Plants ML0814906102008-05-15015 May 2008 2008/05/15-Supplemental Petition by Collective Petitioners for Additional Investigation and Correction of Deficiencies Regarding License Renewal Reviews for Oyster Creek, Indian Point, Pilgrim, and Vermont Yankee Nuclear Power Plants ML0814306512008-05-15015 May 2008 Supplemental Petition by Nuclear Information and Resource Service: Jersey Shore Nuclear Watch, Inc.: Grandmothers, Mothers and More for Energy Safety: New Jersey Public Interest Research Group: New Jersey Sierra Club: New Jersey.. ML0808600962008-03-17017 March 2008 Pilgrim Watch Reply to NRC Staff'S Motion in Limine to Strike Exhibits and Testimony Filed by Pilgrim Watch, March 10, 2008 ML0808600952008-03-17017 March 2008 Pilgrim Watch Reply to Entergy'S Motion in Limine to Strike Exhibits and Testimony Filed by Pilgrim Watch, March 10, 2008 ML0807402022008-03-0707 March 2008 Entergy'S Eleventh Supplemental Disclosure ML0802904142008-01-18018 January 2008 2008/01/18-Answer of Entergy Nuclear Operation, Inc. Opposing Petition to Suspend License Renewal Reviews and Proceedings ML0802803052008-01-18018 January 2008 2008/01/18-NRC Staff Answer to Petition for Suspension of License Renewal Reviews Pending Investigation of NRC Staff License Renewal Process ML0735403732007-12-14014 December 2007 Entergy'S Eighth Supplemental Disclosure ML0726901592007-09-20020 September 2007 Entergy Nuclear Operations Inc. Answer Opposing Intervention Petition of Local 369, Utility Workers Union of America, AFL-CIO ML0726205402007-09-18018 September 2007 Motion to Intervene of Local 369, Utility Workers Union of America, AFL-CIO ML0721901912007-07-30030 July 2007 Pilgrim Watch'S Answer Opposing NRC Staff'S Motion Requesting That Pilgrim Watch'S Answer Opposing NRC Staff Support of Entergy'S Motion to Strike Pilgrim Watch'S Answer to Entergy'S Summary Disposition Motion Not Be Considered by the Board ML0721302252007-07-26026 July 2007 Pilgrim - Pilgrim Watch'S Answer Opposing NRC Staff'S Support of Entergy'S Motion to Strike Portions of Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Contention 3 ML0720501452007-07-17017 July 2007 Pilgrim - Pilgrim Watch'S Answer Opposing Entergy'S Motion to Strike Portions of Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 3 ML0718405682007-06-29029 June 2007 Pilgrim - Pilgrim Watch'S Answer Opposing Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 3 ML0718000592007-06-28028 June 2007 Pilgrim - NRC Staff Response to Entergy'S Motion for Summary Disposition of Pilgrim Watch Contention 1 ML0716303952007-06-0505 June 2007 Pilgrim - Entergy'S Sixth Supplemental Disclosure ML0715002992007-05-24024 May 2007 Pilgrim - Entergy'S Opposition to Pilgrim Watch Request to Extend Time to Respond to Summary Disposition of Pilgrim Watch Contention 3 ML0715201682007-05-22022 May 2007 Pilgrim - Notice of Appearance of Mary Elizabeth Lampert ML0711702672007-04-18018 April 2007 Pilgrim - Second Disclosure Statement by Pilgrim Watch ML0711702602007-04-16016 April 2007 Pilgrim - Entergy'S Fourth Supplemental Disclosure ML0708002172007-03-15015 March 2007 Pilgrim - Entergy'S Third Supplemental Disclosure ML0707301912007-03-0606 March 2007 Pilgrim - Letter to Judge Cole from S. Uttal, OGC Providing (Cd) Version of Safety Evaluation Report with Open Items ML0634803752006-12-0808 December 2006 Pilgrim- Entergy'S Comments on Proposed Schedule 2011-06-27
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I. C -..' --DOCKETED USNRC September 21, 2010 (4:57p.m.)
OFFICE OF SECRETARY September 21, 2010 RULEMAKINGS AND UNITED STATES OF AMERICA ADJUDICATIONS STAFF NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of ))Entergy Nuclear Generation Company and ) Docket No. 50-293-LR Entergy Nuclear Operations, Inc. ) ASLBP No. 06-848-02-LR
)(Pilgrim Nuclear Power Station) )ENTERGY'S RESPONSE TO PILGRIM WATCH'S MEMO REGARDING PROPOSED SCHEDULE Entergy Nuclear Generation Company and Entergy Nuclear Operations, Inc. (collectively"Entergy")
hereby respond to Pilgrim Watch's Memo Regarding Proposed Schedule (Sept. 21, 2010). Pilgrim Watch's position that pretrial filings should occur in mid-January, 2011, with a hearing in mid-March (PW Memo at 1), is simply dilatory, inconsistent with Pilgrim Watch's obligations as a party in an adjudicatory proceeding, and dismissive of Entergy's right to timely decision-making:
Despite the Board's specific request during its September 15 teleconference that Pilgrim Watch report on the availability of its witnesses, Pilgrim Watch makes no claim that its witnesses are unavailable or unable to work on their testimony.
Moreover, Pilgrim Watch has previously indicated that its witnesses would be available to prepare testimony at the beginning of Septem-ber, could file that testimony by October 15, and would be available for a hearing after Novem-ber 25. See Pilgrim Watch's Response to ASLB's May 5, 2010 Order (May 12, 2010) at 8-9. If Pilgrim Watch was previously able to prepare its testimony in six weeks, there is no good reason why it now needs more than three months.Pilgrim Watch's claim that the Board's "refusal" to respond to its questions somehow prevents Pilgrim Watch from knowing how to proceed (PW Memo at 1) is without merit. Pil-grim Watch has received ample instruction on the scope of the remanded meteorological issues in the Commission's March 26, 2010 Memorandum and Order (CLI 11), the Commission's June 17, 2010 Memorandum and Order (CLI-10-15, denying Pilgrim Watch's motion for recon-sideration), the Commission's August 27, 2010 Memorandum and Order (CLI-10-22), and the Licensing Board's September 2, 2010 Order. Pilgrim Watch has already had six months since the Commission remanded these issues in which to work on its case (as well as the months it had to develop its case prior to the summary disposition of its contention earlier in this proceeding).
While Pilgrim Watch may be uncertain whether it will also be permitted to submit testimony challenging NRC's practice of using mean consequence values, there is nothing preventing Pil-grim Watch from preparing its testimony on the meteorological issues.Similarly, Pilgrim Watch's complaint that it has limited resources (PW Memo at 2) pro-vides no grounds for the excessively long schedule that Pilgrim Watch seeks. As the Commis-sion has stated, "the fact that a party may have personal or other obligations or possess fewer re-sources than others to devote to the proceeding does not relieve that party of its hearing obliga-tions." Statement of Policy on Conduct of Licensing Proceedings, CLI-81-8, 13 N.R.C. 452, 454 (1981). Indeed, "[i]t is well-settled that a participant in an NRC proceeding should anticipate having to manipulate its resources, however limited, to meet its obligations," Wisconsin Electric Power Co., (Point Beach Nuclear Plant, Unit 1), ALAB-719, 17 N.R.C. 387, 394 (1983) (cita-tions omitted), and "it has long been a 'basic principle that a person who invokes the right to par-ticipate in an NRC proceeding also voluntarily accepts the obligations attendant upon such par-ticipation,"'
even pro se participants who are likely to have less available time and resources.
Duke Energy Corp. (Oconee Nuclear Station, Units 1, 2, and 3) CLI-99-11, 49 N.R.C. 328, 338-39 (1999), citing Duke Power Co. (Catawba Nuclear Station, Units 1 and 2), CLI-83-19, 17 2 N.R.C. 1041, 1048 (1983); see also USEC Inc. (American Centrifuge Plant), CLI-06-10, 63 N.R.C. 451, 456 (2006) ("[T]hose participating in our proceeding[s]
must be prepared to expend the necessary effort.");
Kerr-McGee Chemical Corp. (West Chicago Rare Earths Facility), LBP-85-46, 22 N.R.C. 830, 832 (1985) (Though a "proceeding may impose a heavy burden...
[t]he pressures of other professional responsibilities are not a basis for alleviating that burden").
En-tergy respectfully submits that the schedule in this proceeding should not be dictated by Pilgrim Watch's unwillingness to commit resources.
Moreover, it is unfortunate that Pilgrim Watch fails to appreciate the impact of its inac-tion on the hundreds of Pilgrim Station employees, who are left to guess at the prospects for con-tinued employment beyond the next two years. Equally unfortunate is Pilgrim Watch's lack of appreciation for the impact of its delays on Pilgrim Station's ability to make business and in-vestment decisions.
The absence of a timely decision on Entergy's license renewal application makes it unclear whether Entergy should be investing in plant improvements to support extended operation.
The absence of a timely decision also makes decisions on fuel procurement challeng-ing and is an impediment to Entergy's ability to enter into contracts for the sale of the plant's power beyond its current expiration date. As the Commission stated, "applicants for a license are... entitled to a prompt resolution of disputes concerning their applications." Statement of Policy on Conduct of Adjudicatory Proceedings, CLI-98-12, 48 N.R.C. 18, 19 (1998).Finally, Pilgrim Watch's assertion that it is not its fault that the Commission took over two months to rule on its recusal motion (PW Memo at 3) overlooks the obvious -that Pilgrim Watch's recusal motion was itself inappropriate.
Since Pilgrim Watch was in communication with David Chanin, it knew that Judge Abramson had no involvement in developing the 3 MACCS2 code. Since Pilgrim Watch's motion was not well founded, it should not now be re-warded for the delay that its decision to proceed with this motion has caused.For all these reasons, Entergy objects to Pilgrim Watch's continuing efforts to delay this proceeding and avoid its obligations as a party. Entergy submits that a reasonable schedule would be for the parties to submit their prefiled testimony on November 15 (which is more than the six weeks that Pilgrim Watch claimed that it needed in May, and ample time to adjust its tes-timony if the Board allows evidence on averaging), for rebuttal testimony to be submitted by De-cember 15, and for the evidentiary hearing to begin the week of January 10.1 Respectfully Submitted, David R. Lewis Paul A. Gaukler PILLSBURY WINTHROP SHAW PITTMAN LLP 2300 N Street, NW Washington, DC 20037-1128 Tel. (202) 663-8000 Counsel for Entergy Dated: September 21, 2010 Entergy's witness, Dr. Hanna, is not available the week of January 17. In addition, Dr. Hanna will be teaching a three-week course in Cyprus in the February -March timeframe, and needs to know when the hearing will occur so that the specific three week interval can be chosen to avoid any conflict with the hearing date.4 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of Entergy Nuclear Generation Company and Entergy Nuclear Operations, Inc.(Pilgrim Nuclear Power Station)))))))Docket No. 50-293-LR ASLBP No. 06-848-02-LR CERTIFICATE OF SERVICE I hereby certify that copies of"Entergy's Response to Pilgrim Watch's Memo Regarding Proposed Schedule" were served on the persons listed below by deposit in the U.S. Mail, first class, postage prepaid, and where indicated by an asterisk, by electronic mail, this 2 1 st day of September, 2010.* Secretary Att'n: Rulemakings and Adjudications Staff Mail Stop 0-16 C1 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 hearingdocket@nrc.gov
- Administrative Judge Ann Marshall Young, Esq., Chair Atomic Safety and Licensing Board Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Ann.Young@nrc.gov
- Administrative Judge Paul B. Abramson Atomic Safety and Licensing Board Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Paul.Abramson@nrc.gov
- Office of Commission Appellate Adjudication Mail Stop 0-16 C I U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 ocaamail@nrc.gov
- Administrative Judge Dr. Richard F. Cole Atomic Safety and Licensing Board Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Richard.Cole@nrc.gov Atomic Safety and Licensing Board Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001
- Matthew Brock, Assistant Attorney General Commonwealth of Massachusetts Office of the Attorney General One Ashburton Place Boston, MA 02108 Martha. Coakley@state.ma.us Matthew.Brock@state.ma.us
- Mr. Mark D. Sylvia Town Manager Town of Plymouth 11 Lincoln St.Plymouth, MA 02360 msylvia@townhall.plymouth.ma.us
- Richard R. MacDonald Town Manager 878 Tremont Street Duxbury, MA 02332 macdonald@town.duxbury.ma.us
- Susan L. Uttal, Esq.*Andrea Z. Jones, Esq.*Brian Harris, Esq.*Michael G. Dreher Office of the General Counsel Mail Stop 0- 15 D21 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Susan.Uttal@nrc.gov; andrea.jones@nrc.gov; brian.harris@nrc.gov; michael.dreher@nrc.gov
- Sheila Slocum Hollis, Esq.Duane Morris LLP 505 9th Street, NW Suite 1000 Washington, DC 20006 sshollis@duanemorris.com
- Chief Kevin M. Nord Fire Chief and Director, Duxbury Emergency Management Agency 688 Tremont Street P.O. Box 2824 Duxbury, MA 02331 nord@town.duxbury.ma.us
- Katherine Tucker, Esq.Law Clerk, Atomic Safety and Licensing Board Panel Mail Stop T3-E2a U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Katie.Tucker@nrc.gov David R. Lewis 2