Errata to Natural Resources Defense Council'S, Friends of the Earth'S, and Miami Waterkeeper'S Motion to Migrate Contentions & Admit New Contentions in Response to NRC Staff'S Supplemental Draft Environmental Impact StatementML19179A313 |
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Site: |
Turkey Point |
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Issue date: |
06/28/2019 |
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From: |
Ayres R, Cox K, Fettus G, Reiser C, Rumelt K Ayres Law Group, Environmental & Natural Resources Law Clinic, Friends of the Earth, Miami Waterkeeper, Natural Resources Defense Council, Vermont Law School |
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To: |
Atomic Safety and Licensing Board Panel |
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SECY RAS |
Shared Package |
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ML19179A312 |
List: |
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References |
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50-250-SLR, 50-251-SLR, ASLBP 18-957-01-SLR-BD01, RAS 55066 |
Download: ML19179A313 (5) |
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Category:Legal-Pleading
MONTHYEARML24023A2072024-01-23023 January 2024 Miami Waterkeepers Response in Opposition to Florida Power & Light Companys Motion to Strike Portions of Miami Waterkeepers Reply ML24008A2932024-01-0808 January 2024 Reply in Support of Request for Hearing and Petition to Intervene Submitted by Miami Waterkeeper ML23356A1622023-12-22022 December 2023 NRC Staff Answer Opposing Miami Waterkeeper Hearing Request ML23356A1562023-12-22022 December 2023 Florida Power and Light Company'S Answer Opposing Miami Waterkeeper'S Hearing Request and Petition for Leave to Intervene ML23352A3282023-12-18018 December 2023 Florida Power and Light Company'S Answer Opposing Miami Waterkeeper'S Second Extension Request ML23306A2862023-11-0202 November 2023 Answer in Opposition to Miami Waterkeeper Extension Request ML22090A2482022-03-31031 March 2022 NRC Staff'S Response to Views on Practical Effects ML22090A2102022-03-31031 March 2022 Florida Power and Light Company'S Response to Other Parties' Views on License Status as Requested in Commission Order CLI-22-02 ML22080A2722022-03-21021 March 2022 Superseded License ML22080A2332022-03-21021 March 2022 Views on License Status as Requested in Commission Order CLI-22-02 ML22080A2702022-03-21021 March 2022 NRC Staff Views on the Practical Effects of (1) the Subsequent Renewed Licenses Continuing in Place and (2) the Previous Licenses Being Reinstated ML22080A2712022-03-21021 March 2022 Turkey Pont, Unit 3, Superseded License ML20043F4402020-02-12012 February 2020 Notice of Withdrawal of Martin J. O'Neill ML19347D4582019-12-13013 December 2019 NRC Staff'S Brief in Response to Intervenors' Petition for Review of LBP-19-8 ML19347D0342019-12-13013 December 2019 Florida Power & Light Company'S Answer Opposing Friends of the Earth'S, Natural Resources Defense Council'S, and Miami Waterkeeper'S Petition for Review of LBP-19-8 ML19344D1332019-12-10010 December 2019 Notice of Appearance for Mary Frances Woods ML19322D6232019-11-18018 November 2019 Friends of the Earth'S, Natural Resources Defense Council'S, and Miami Waterkeeper'S Petition for Review of the Atomic Safety and Licensing Board'S Ruling in LBP-19-08 ML19263D9092019-09-20020 September 2019 Reply of Friends of the Earth, Natural Resources Defense Council and Miami Waterkeeper in Support of Petition for Review of the Aslb'S Rulings in LBP-19-3 and LBP-19-06 ML19253E1182019-09-10010 September 2019 Florida Power and Light Company'S Answer Opposing Intervenors' Petition for Review of LBP-19-3 and LBP-19-6 ML19253E0512019-09-10010 September 2019 NRC Staff Answer to Petition for Review of LBP-19-3 and LBP-19-6 ML19226A3842019-08-14014 August 2019 Corrected Intervenors' Opposition to Florida Power & Light Co., Motion to Strike Intervenors' Reply to Fpl'S and NRC Staff'S Answer to Intervenors' Waiver Petition ML19221B6772019-08-0909 August 2019 Friends of the Earth'S, Natural Resources Defense Council'S, and Miami Waterkeeper'S Petition for Review of the Atomic Safety and Licensing Board'S Rulings in LBP-19-3 and LBP-19-06 ML19221B6732019-08-0909 August 2019 Intervenors' Opposition to Florida Power & Light Company'S Motion to Strike Intervenors' Reply to Fpl'S and NRC Staff'S Answer to Intervenors' Waiver Petition ML19214A0872019-08-0202 August 2019 Florida Power & Light Company'S Motion to Strike Intervenors' Reply to Fpl'S and NRC Staff'S Answers to Their Waiver Petition ML19203A3502019-07-22022 July 2019 Errata to NRC Staff'S Answer to Joint Intervenors' (1) Amended Motion to Migrate or Amend Contentions 1E and 5E and to Admit Four New Contentions, and (2) Petition for Waiver. ML19200A2972019-07-19019 July 2019 Florida Power & Light Company'S Answer Opposing Intervenors' Motion to Migrate or Amend Contentions 1-E and 5-E and to Admit New Contentions 6-E, 7-E, 8-E, and 9-E ML19200A3002019-07-19019 July 2019 NRC Staff'S Answer to Joint Intervenors' (1) Amended Motion to Migrate or Amend Contentions 1-E and 5-E and to Admit Four New Contentions, and (2) Petition for Waiver ML19200A2982019-07-19019 July 2019 Florida Power & Light Company'S Answer to Intervenors' Petition for Waiver of Certain 10 C.F.R. Part 51 Regulations ML19179A3132019-06-28028 June 2019 Errata to Natural Resources Defense Council'S, Friends of the Earth'S, and Miami Waterkeeper'S Motion to Migrate Contentions & Admit New Contentions in Response to NRC Staff'S Supplemental Draft Environmental Impact Statement ML19175A3112019-06-24024 June 2019 Natural Resources Defense Council'S, Friends of the Earth'S, and Miami Waterkeeper'S Petition for Waiver of 10 CFR 51.53(C)(3) and 51.71(D) and 10 CFR Part 51, Subpart a, Appendix B ML19175A3122019-06-24024 June 2019 Declaration of Kenneth Rumelt in Support of Waiver Petition ML19161A3602019-06-10010 June 2019 Joint Petitioners' Answer Opposing Fpl'S Motion to Dismiss Joint Petitioners' Contention 1-E as Moot ML19161A2522019-06-10010 June 2019 NRC Staff'S Answer to Fpl'S Motions to Dismiss ML19161A3612019-06-10010 June 2019 Joint Petitioners' Answer Opposing Fpl'S Motion to Dismiss Joint Petitioners' Contention 5-E as Moot ML19140A3562019-05-20020 May 2019 Fpl'S Motion to Dismiss Joint Petitioners' Contention 5-E as Moot ML19140A3552019-05-20020 May 2019 Fpl'S Motion to Dismiss Joint Petitioners' Contention 1-E as Moot ML19130A1632019-05-10010 May 2019 Intervenors' Initial Mandatory Disclosure Report Under 10 C.F.R. 2.336 ML19116A2722019-04-26026 April 2019 NRC Staff'S Brief in Response to Florida Power and Light Company Appeal ML19099A3142019-04-0909 April 2019 Sace Notice of Withdrawal ML19091A3022019-04-0101 April 2019 FPL Notice of Appeal and Brief in Support of Appeal of LBP-19-3 ML19087A3072019-03-28028 March 2019 FPL Answer Opposing Intervenors' Joint Motion for Partial Reconsideration of Initial Scheduling Order ML19085A3312019-03-26026 March 2019 Intervenors' Joint Motion for Partial Reconsideration of Initial Scheduling Order ML19078A3022019-03-19019 March 2019 Joint Motion Regarding Hearing Schedule, Mandatory Disclosures, and Hearing File Obligations ML19025A2732019-01-25025 January 2019 NRC Staff'S Answer to Petitioners' Motion for Leave to Respond to Applicant'S Response to the NRC Staff'S Clarification ML19022A0262019-01-22022 January 2019 Applicant'S Answer to Petitioners' Joint Motion for Leave to Respond to Applicant'S Response to the NRC Staff'S Clarification ML19007A3112019-01-0707 January 2019 Applicant'S Response to NRC Staff'S Clarification Regarding the Admissibility of Proposed Cooling Tower Contentions ML19007A2662019-01-0707 January 2019 Petitioners' Response to NRC Staff Clarification ML18354B1462018-12-20020 December 2018 Joint Motion for Correction of the Transcript of the Oral Argument Held on December 4, 2018 ML18352B2102018-12-18018 December 2018 NRC Staff'S Clarification of Its Views Regarding the Admissibility of Joint Petitioners' Contention 1-E and Sace Contention 2 (Alternative Cooling Systems) ML18306A9552018-11-0202 November 2018 NRC Staff'S Response to the Applicant'S Surreply and the Petitioners' Response, Regarding the Applicability of 10 C.F.R. 51.53(c)(3) to Subsequent License Renewal Applications 2024-01-08
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of: )
)
FLORIDA POWER & LIGHT COMPANY ) Docket No. 50-250
) Docket No. 50-251 (Turkey Point Nuclear Generating Station, Unit Nos. 3 )
and 4) ) June 28, 2019
)
ERRATA TO NATURAL RESOURCES DEFENSE COUNCILS, FRIENDS OF THE EARTHS, AND MIAMI WATERKEEPERS MOTION TO MIGRATE CONTENTIONS & ADMIT NEW CONTENTIONS IN RESPONSE TO NRC STAFFS SUPPLEMENTAL DRAFT ENVIRONMENTAL IMPACT STATEMENT On June 24, 2019, Natural Resources Defense Council, Friends of the Earth, and Miami Waterkeeper (together Intervenors) submitted their Motion to Migrate Contentions & Admit New Contentions in Response to NRC Staffs Supplemental Draft Environmental Impact Statement. Along with this Motion, Intervenors submitted three expert reports. On June 26, 2019, Intervenors were notified that the Declaration of E.J. Wexler contained links to three proprietary documents even though the declaration was filed as public.1 To address this discrepancy, Intervenors today file a revised version of the Declaration of E.J. Wexler with the pages containing the links to the proprietary documents removed.
It has also come to Intervenors attention that a document referenced in the Expert Report of Dr. William Nuttle as Exhibit B in error failed to be included. To correct the error, Intervenors today file a revised version of the Expert Report of Dr. William Nuttle with Exhibit 1
The three documents are: Final Report, Simulation of Groundwater Flow and Saltwater Movement in the Vicinity of the Atlantic Civil Property South Miami-Dade County, FL, Prepared for: US Army Corps of Engineers in Support of Application Number SAJ-1995-6797 (mining) (Jan. 30, 2012); Technical Appendix A, Additional Groundwater Flow and Saltwater/Freshwater Interface Modeling for the Atlantic Civil Property South Miami-Dade County, FL, Prepared for EAS Engineering, Inc. (Mar. 25, 2014); and Review of the FPL Three-Dimensional Groundwater Flow and Saltwater Transport Model, Prepared for: Lewis, Longman, and Walker, P.A. & EAS Engineering, Inc. (June 5, 2016).
B included. The newly included Exhibit B contains Dr. Nuttles resume to support his qualifications as an expert in this matter.
Finally, Joint Intervenors also submit the following errata for the text of the Motion.
These corrections have been made to a corrected version of the Motion, which was also filed today.
Page Line Correction Passim Passim Replace SMALL with small and MODERATE with moderate (unless within a quotation) 9 3 Replace Per with Under 10 5 Replace cooling water system with cooling tower 11 6 Replace to rigorously explore with to explore vigorously 11 10 Replace water system with tower 11 11 Replace water system with tower 11 12 Replace plays with pays 12 1 Replace water system with tower 12 8 Insert a hyphen between special and status 13 16 Replace a range threatened with range-threatened 13 18 Replace them with it 13 22 Replace adequately consider with consider adequately 14 4 Replace regards with regard 14 12 Replace to rigorously and objectively evaluate with to evaluate rigorously and objectively 14 13 Replace to adequately analyze with to analyze adequately 15 5 Replace Units with units
16 1 Replace claims with claimed 16 5 Replace addressed with eliminated 16 14 Replace on with of 16 15 Replace should cooling towers be built with if cooling towers were built 16 16-17 Replace to adequately analyze with to analyze adequately 21 17 Replace Per with Under 25 18 Insert request after waiver 26-36 passim Replace MDC with Miami-Dade County 29-30 passim Replace P with phosphorus 29-30 passim Replace N with nitrogen 36 11 Insert a quotation mark after Startup Report 38 13 Replace no with not 40 19 Replace they have with it has 44 3 Replace are not and will not reach with are not reaching, and will not reach Respectfully submitted,
/s/ Ken Rumelt /s/ Geoffrey Fettus Kenneth J. Rumelt Geoffrey Fettus Environmental & Natural Resources /s/ Caroline Reiser Law Clinic Caroline Reiser Vermont Law School Natural Resources Defense Council 164 Chelsea Street, PO Box 96 1152 15th Street, NW, Suite 300 South Royalton, VT 05068 Washington, DC 20005 802-831-1031 202-289-2371 krumelt@vermontlaw.edu gfettus@nrdc.org Counsel for Friends of the Earth creiser@nrdc.org Counsel for Natural Resources Defense Council
/s/ Richard Ayres /s/ Kelly Cox Richard E. Ayres Kelly Cox Ayres Law Group Miami Waterkeeper 2923 Foxhall Road, N.W. 2103 Coral Way 2nd Floor Washington, D.C. 20016 Miami, FL 33145 202-722-6930 305-905-0856 ayresr@ayreslawgroup.com kelly@miamiwaterkeeper.org Counsel for Friends of the Earth Counsel for Miami Waterkeeper June 28, 2019
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of: )
)
FLORIDA POWER & LIGHT COMPANY ) Docket No. 50-250
) Docket No. 50-251 (Turkey Point Nuclear Generating Station, Unit Nos. 3 )
and 4) ) June 26, 2019
)
(Subsequent License Renewal Application)
CERTIFICATE OF SERVICE Pursuant to 10 C.F.R. § 2.305, I certify that, on this date, a copy of the foregoing Errata to Natural Resources Defense Councils, Friends of the Earths, and Miami Waterkeerpers Motion to Migrate Contentions & Admit New Contentions in Response to NRC Staffs Supplemental Draft Environmental Impact Statement was served upon the Electronic Information Exchange (EIE, the NRCs E-Filing System), in the above-captioned docket, which to the best of my knowledge resulted in transmittal of same to those on the EIE Service List for the captioned proceeding.
/Signed (electronically) by/
Caroline Reiser Natural Resources Defense Council 1152 15th Street, N.W., Suite 300 Washington, D.C. 20005 (202) 717-2341 creiser@nrdc.org Counsel for NRDC June 26, 2019