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Category:Legal-Pleading
MONTHYEARML20279A4812020-10-0505 October 2020 C-10 Research and Education Foundation'S Reply to Oppositions to Motion for Partial Reconsideration and Motion to Re-Open the Record for Consideration of Supplemental Testimony Regarding License Conditions in LBP-20-09 ML20272A2742020-09-28028 September 2020 Nextera'S Answer Opposing C-10's Motion for Leave to File a Reply and Motion for Leave to File INT053 ML20254A2342020-09-10010 September 2020 Nextera'S Answer Opposing C-10 Motion for Leave and Motion for Partial Reconsideration of LBP-20-9 ML20254A2352020-09-10010 September 2020 Nextera'S Answer Opposing C-10 Motion to Reopen the Record for Consideration of Supplemental Testimony ML20244A3212020-08-31031 August 2020 C-10 Research and Education Foundation'S Motion for Partial Reconsideration and Motion to Re-Open the Record for Consideration of Supplemental Testimony Regarding License Conditions in LBP-20-09 ML20244A3202020-08-31031 August 2020 C-10 Research and Education Foundation'S Motion for Leave to File Motion for Partial Reconsideration of LBP-20-09 ML20043E2542020-01-31031 January 2020 Redacted C-10 Research and Education'S Supplemental Proposed Findings of Fact and Conclusions of Law ML20031D6992020-01-31031 January 2020 NRC Staff Supplemental Proposed Findings of Fact and Conclusions of Law ML20031E7222020-01-31031 January 2020 NextEra Energy Seabrook Llc'S Supplemental Proposed Findings of Fact and Conclusions of Law ML19354C4482019-12-20020 December 2019 C-10 Research and Education Foundation'S Response to Nextera'S Motion for Leave to File Responsive Proposed Findings of Fact and Conclusions of Law ML19353D4192019-12-19019 December 2019 C-10 Research and Education Foundation'S Response to Nextera'S Motion for Leave to File Responsive Proposed Findings of Fact and Conclusions of Law ML19347D0672019-12-13013 December 2019 NextEra Energy Seabrook Llc'S Motion for Leave to File Responsive Proposed Findings of Fact and Conclusions of Law ML19347D0702019-12-13013 December 2019 NextEra Energy Seabrook Llc'S Responsive Proposed Findings of Fact and Conclusions of Law ML19333B9702019-11-29029 November 2019 Unopposed Motion for Extension of Time to Seek Leave to File Responsive Proposed Findings of Fact and Conclusions of Law ML20043E2522019-11-27027 November 2019 Redacted Corrected C-10 Research and Education Foundation'S Proposed Findings of Fact and Conclusions of Law ML19325D9092019-11-21021 November 2019 NRC Staff Proposed Findings of Fact and Conclusions of the Law for the Admitted Contention ML19325F3902019-11-21021 November 2019 NextEra Energy Seabrook Llc'S Proposed Findings of Fact and Conclusions of Law ML19310E2592019-11-0606 November 2019 Nextera'S Answer Opposing C-10's Third Motion for Leave to File Supplemental Testimony ML19304B3522019-10-31031 October 2019 C-10 Research and Education Foundation'S Response to ASLB Memorandum and Motion to Submit Additional Exhibits Regarding Petrographic Observations and Analyses of ASR at Seabrook ML19283A0362019-10-0909 October 2019 Nextera'S Answer Opposing C-10's Motions to Compel Production of Mineralogical Data and to Submit Additional Post-Hearing Testimony ML19272B3252019-09-30030 September 2019 C-10 Research and Education Foundation'S Motion to Compel Production of Mineralogy Data and Request for Opportunity to Submit Supplemental Written Testimony Regarding the Data ML19262K7512019-09-19019 September 2019 C-10 Research and Education Foundation'S Opposition to Nextera'S Second Motion in Limine ML19261B8802019-09-18018 September 2019 NRC Staff'S Answer to Nextera'S Motion in Limine ML19254F1582019-09-11011 September 2019 Appendix a Revised Exhibit List for September 2019 Evidentiary Hearing Exhibits ML19253D6782019-09-10010 September 2019 NRC Staff'S Answer to C-10's Motion to Supplement Rebuttal Testimony ML19252B3072019-09-0909 September 2019 NextEra Answer Opposing C-10 Motion for Leave to File Supplemental Rebuttal ML19252B2322019-09-0909 September 2019 Nextera'S Motion in Limine to Strike or Exclude Portions of C-10's Testimony and Exhibits ML19247D5932019-09-0404 September 2019 C-10 Research and Education Foundation'S Motion for Leave to File Supplemental Rebuttal Testimony ML19235A3172019-08-23023 August 2019 C-10 Research and Education Foundation, Inc. Rebuttal Statement of Position on C-10's Contentions Regarding Nextera'S Program for Managing ASR at Seabrook Station Nuclear Power Plant ML19235A3182019-08-23023 August 2019 Appendix a Revised Exhibit List ML19205A3412019-07-24024 July 2019 NRC Staff Initial Written Statement of Position ML19205A4882019-07-24024 July 2019 NextEra Energy Seabrook LLC Statement of Position and Certificate of Service ML19171A4012019-06-20020 June 2019 C-10 Research and Education Foundation'S Errata to Exhibit INT-001, Testimony of Dr. Victor E. Saouma ML19161A3722019-06-10010 June 2019 Appendix a Exhibit List ML19161A3712019-06-10010 June 2019 C-10 Research and Education Foundation, Inc. Initial Statement of Position on Contentions Re Nextera'S Program for Managing ASR at Seabrook Station ML19123A1912019-05-0303 May 2019 C-10 Research and Education Foundation'S Opposition to Nextera'S Motion in Limine ML19114A0762019-04-23023 April 2019 Nextera'S Motion in Limine to Exclude Testimony and Exhibits Regarding Structure Deformation Monitoring ML19105B2822019-04-15015 April 2019 Nextera'S Answer Opposing C-10's Motion Regarding Seabrook Station Site Tour ML19101A4082019-04-11011 April 2019 C-10 Research and Education Foundation'S Motion Regarding Seabrook Station Site Tour ML19064B4022019-03-0505 March 2019 Nextera'S Answer Opposing C-10's Motion for Leave to File a Reply to Answers to C-10's Emergency Petition ML19064A6322019-03-0505 March 2019 Notice of Appearance for Jennifer E. Scro ML19060A3042019-03-0101 March 2019 C-10 Research and Education Foundation'S Reply to Oppositions by NextEra and NRC Staff to Emergency Petition for Exercise of Commission'S Supervisory Authority to Reverse No Significant Hazards Determination and Immediately Suspend License ML19060A3032019-03-0101 March 2019 C-10 Research and Education Foundation'S Motion for Leave to File Reply to Oppositions by NextEra and NRC Staff to Emergency Petition ML19056A5882019-02-25025 February 2019 NRC Staff Answer to C-10's Emergency Petition ML19056A5862019-02-25025 February 2019 Nextera'S Answer Opposing C-10 Emergency Petition ML19044A7702019-02-13013 February 2019 Exhibit 1 to Saouma Declaration: Curriculum Vitae for Dr. Victor E. Saouma ML19044A7682019-02-13013 February 2019 Emergency Petition by C-10 Research and Education Foundation for Exercise of Commission'S Supervisory Authority to Reverse No Significant Hazards Determination and Immediately Suspend License Amendment and License Renewal Decisions ML19044A7692019-02-13013 February 2019 Declaration of Victor E. Saouma, Ph.D ML19044A7722019-02-13013 February 2019 Exhibit 3 to Saouma Declaration: Sauoma, Experimental and Numerical Investigation of Alkali Silica Reaction in Nuclear Reactors, Final Summary Report ML19044A7732019-02-12012 February 2019 Exhibit 4a to Saouma Declaration: Introduction and Executive Summary 2020-09-28
[Table view] Category:Legal-Motion
MONTHYEARML20261H6042020-09-17017 September 2020 C-10 Research and Education Foundation'S Motion for Leave to File Reply to Oppositions to Motion for Partial Reconsideration of LBP-20-09 ML19310E6572019-11-0606 November 2019 NRC Staff'S Answer Opposing C-10'S Motion to Admit Additional Exhibit and Testimony ML19123A2092019-05-0303 May 2019 NRC Staff'S Answer to Nextera'S Motion in Limine ML17156A2782017-06-0505 June 2017 NRC Staff'S Motion for Leave to File a Sur-Reply to Nextera'S Reply to NRC Staff'S Answer to C-10's Petition for Leave to Intervene ML17142A2812017-05-22022 May 2017 NRC Staff Motion to Strike Portions of C-10's Reply ML17142A2822017-05-22022 May 2017 Motion to Strike - Attachment a ML15209A7432015-07-28028 July 2015 Motion to Withhold or Withdraw Final Environmental Impact Statement Pending Renewed Opportunity for Comment ML14063A5332014-03-0101 March 2014 Certificate of Service for Petition to Suspend Reactor Licensing Decisions ML14063A5322014-03-0101 March 2014 Certificate of Timely Submission of Petition to Suspend Reactor Licensing Decisions ML14063A5312014-02-27027 February 2014 Petition to Suspend Reactor Licensing Decisions and Reactor Re-Licensing Decisions Pending Completion of Rulemaking Proceeding Regarding Environmental Impacts of High-Density Pool Storage of Spent Fuel and Mitigation Measures ML13140A1392013-05-20020 May 2013 NRC Staff Motion for Extension of Time of File Answers to Nextera Motions for Summary Disposition of Contentions 4B & 4D ML13130A2152013-05-10010 May 2013 Nextera'S Motion for Summary Disposition of Friends of the Coast/New England Coalition Contention 4D (SAMA Analysis Atmospheric Modeling) ML13130A2142013-05-10010 May 2013 Nextera'S Motion for Summary Disposition of Friends of the Coast/New England Coalition Contention 4B (SAMA Analysis Source Terms) ML13122A4632013-05-0202 May 2013 Joint Motion on Timing of Summary Disposition Motions ML12270A0602012-09-26026 September 2012 Corrected Friends/Nec Exhibit 2, Seabrook Alkali-Silica Reaction Issue Technical Team Charter ML12270A0612012-09-26026 September 2012 Correction to Supplement to Friends of the Coast and New England Coalition Petition for Leave to File a New Contention Regarding NextEra Energy Seabrook License Renewal Application Structures Monitoring Program Supplement-Alkali-Silica Reac ML12265A4102012-09-21021 September 2012 Friends of the Coast and New England Coalition'S Motion (with September 19, 2012) Corrections for Leave to File a New Contention Concerning Nextera Energy Seabrook'S Amendment of Its Aging Management Program for Safety-Related Concrete Stru ML12265A3942012-09-21021 September 2012 Supplement to Friends of the Coast & New England Coalition'S Motion for Leave to File New Contention Re NextEra Energy Seabrook'S Amendment of Its Aging Management Program for Safety-Related Concrete Structures ML12265A3862012-09-21021 September 2012 Joint Motion to Modify Initial Scheduling Order ML12265A3962012-09-21021 September 2012 Friends/Nec Exhibit Two: Request for Additional Information for the Review of the Seabrook Station, License Renewal Application - Set 19 ML12265A3972012-09-21021 September 2012 Corrections & Supplement to Friends of the Coast & New England Coalition Petition for Leave to File a New Contention ML12265A3932012-09-14014 September 2012 Friends/Nec Exhibit Three: Request for Additional Information for the Review of the Seabrook Station, License Renewal Application - Set 19 ML12265A3982012-09-13013 September 2012 Friends/Nec Exhibit 4: Union of Concerned Scientists Requests That NextEra Begin a Systematic Conditional Assessment During Seabrook'S Refueling ML12265A3952012-09-0505 September 2012 Friend/Nec Exhibit One: Request for Deviation from Reactor Oversight Process Action Matrix to Provide Increased Oversight of Alkali-Silica Reaction Issue at Seabrook ML12191A4192012-07-0909 July 2012 Certificate of Services for Intervenors' Motion for Leave to File a New Contention Concerning Temporary Storage and Ultimate Disposal of Nuclear Waste at Seabrook Station, Unit 1 ML12191A4182012-07-0909 July 2012 Transmittal of Intervenors' Motion for Leave to File a New Contention Temporary Storage and Ultimate Disposal of Nuclear Waste at Seabrook Station, Unit 1 ML12191A4202012-07-0909 July 2012 Intervenors' Motion for Leave to File a New Contention Concerning Temporary Storage and Ultimate Disposal of Nuclear Waste at Seabrook Station, Unit 1 ML12158A2802012-06-0505 June 2012 Beyond Nuclear, Motion for Intervention ML11312A0382011-11-0707 November 2011 Petitioners' Withdrawl of Motion of October 28, 2011 for Leave to Supplement Basis of Contention Regarding NEPA Requirement to Address Safety and Environmental Implications of the Fukushima Task Force Report ML11301A2412011-10-28028 October 2011 Motion for Leave to Supplement Basis of Contention Regarding NEPA Requirement to Address Safety and Environmental Implications of the Fukushima Task Force Report ML11301A2422011-10-28028 October 2011 Certificate of Service for Motion for Leave to Supplement Basis of Contention Regarding NEPA Requirement to Address Safety and Environmental Implications of the Fukushima Task Force Report ML11301A2292011-10-28028 October 2011 Joint Motion Regarding Mandatory Disclosures ML11273A1752011-09-30030 September 2011 Joint Motion to Amend the Initial Scheduling Order ML11223A3752011-08-11011 August 2011 (Beyond Nuclear, Seacoast Antipollution League, Sierra Club of Nh) Motion to Admit New Contention Regarding the Safety and Environmental Implications of the Nuclear Regulatory Commission Task Force Report on the Fukushima Dai-ichi Accident ML11223A3762011-08-11011 August 2011 (Beyond Nuclear, Seacoast Antipollution League, Sierra Club of Nh) Contention Regarding NEPA Requirement to Address Safety and Environmental Implications of the Fukushima Task Force Report ML11223A4432011-08-11011 August 2011 (Friends of the Coast, New England Coalition) Motion to Admit New Contention Regarding Safety & Environmental Implications of Nuclear Regulatory Commission Task Force Report on Fukushima Dai-ichi Accident ML11221A1012011-08-0909 August 2011 NextEra Energy Seabrook, LLCs Motion to Amend the Initial Scheduling Order ML1113602232011-05-16016 May 2011 Answer of NextEra Energy Seabrook, LLC Opposing Motion to Permit Unauthorized Reply ML1113603952011-05-16016 May 2011 NRC Staff'S Answer to Petitioners' Motion for Modification of the Commission'S April 19, 2011, Order to Permit a Consolidated Reply ML1113603962011-05-16016 May 2011 Certificate of Service for NRC Staff'S Answer to Petitioners' Motion for Modification of the Commission'S April 19, 2011 Order to Permit a Consolidated Reply ML1112604732011-05-0606 May 2011 Petitioners' Motion for Modification of the Commission'S April 19, 2011, Order to Permit a Consolidated Reply ML1112608092011-05-0606 May 2011 Certificate of Service for Petitioners' Motion for Modification of Commission'S April 19, 2011, Order to Permit Consolidated Reply, and Reply to Responses to Emergency Petition to Suspend All Pending Reactor Licensing Decisions and Related. ML1112608102011-05-0606 May 2011 Certificate Regarding Consultation ML1112608112011-05-0606 May 2011 Petitioners' Reply to Responses to Emergency Petition to Suspend All Pending Reactor Licensing Decisions and Related Rulemaking Decisions Pending Investigation of Lessons Learned from Fukushima Daiichi Nuclear Power Station Accident ML1112608122011-05-0606 May 2011 Petitioner'S Motion for Modification of the Commission'S April 19, 2011, Order to Permit a Consolidated Reply ML1112604762011-05-0606 May 2011 Petitioners' Reply to Responses to Emergency Petition to Suspend All Pending Reactor Licensing Decisions and Related Rulemaking Decisions Pending Investigation of Lessons Learned from Fukushima Daiichi Nuclear Power Station Accident ML1112604752011-05-0606 May 2011 Certificate Regarding Consultation ML1112604742011-05-0606 May 2011 Certificate of Service for Motion for Modification of Order to Allow Reply and Certificate of Consultation ML1106805342011-03-0909 March 2011 Commonwealth of Massachusetts' Request to Participate as an Interested State ML1106801332011-03-0808 March 2011 Friends of the Coast and New England Coalition, Inc. Request for Extension of Time 2020-09-17
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October 28, 2011 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of )
)
NextEra Energy Seabrook, LLC ) Docket No. 50-443-LR
) ASLBP No. 10-906-02-LR (Seabrook Station, Unit 1) )
Joint Motion Regarding Mandatory Disclosures Licensee NextEra Energy Seabrook, LLC (NextEra), intervenors Beyond Nuclear, Seacoast Anti-Pollution League, and Sierra Club of New Hampshire, intervenors Friends of the Coast and New England Coalition, and the Nuclear Regulatory Commission Staff (collectively, the Parties) hereby submit for the Atomic Safety and Licensing Board (Board)s approval a unanimously agreed joint motion by the Parties regarding mandatory disclosures in the instant proceeding.1 The Parties have agreed to several additions and modifications to the discovery provisions in 10 C.F.R. § 2.336, as set forth below. These additions and modifications are largely based on those approved by the Licensing Board in the Turkey Point COL proceeding, with some modifications due to negotiations of the parties and to the existence of instructions already provided in the Initial Scheduling Order in this proceeding. See Florida Power & Light Co. (Turkey Point Units 6 and 7, Docket Nos.
1 Since the Commonwealth of Massachusetts is participating in this proceeding as an Interested State under 10 C.F.R. § 2.315 and, in accordance with the Boards initial scheduling order, will only participate in the discovery process if it elects to submit a prehearing evidentiary submission, the Commonwealth has not joined in this joint motion. If and when the Commonwealth elects to participate via evidentiary submission and join the discovery process, the Parties and the Commonwealth will negotiate any separate or additional agreements required by the unique circumstances presented by the Commonwealths participation and, if necessary, seek guidance or further order from the Board.
52-040-COL and 52-041-COL), Initial Scheduling Order and Administrative Directives (Prehearing Conference Call Summary, Grant of Joint Motion Regarding Mandatory Disclosures, Initial Scheduling Order, and Administrative Directives) (Mar. 30, 2011)
(unpublished), slip op. at 3-6. The proposed additions and modifications to the discovery requirements are as follows:
- 1. The Parties may limit mandatory discovery disclosures to final documents they develop, and need not include drafts (including comments on drafts, resolutions of comments, draft transmittals, or similar documents). Within thirty (30) days of the disclosure of a final document, a Party may request the production of drafts of that document. The Party from whom drafts are requested shall make a reasonable effort to identify and produce such drafts not subject to a claim of a privilege in a timely fashion. This provision does not waive any privilege recognized by law.
- 2. A Party need not identify or produce any document that has been served through the NRCs E-Filing system on the other Parties to this proceeding such as pleadings or exhibits to pleadings.
- 3. The Parties need not identify or produce press clippings, unless they plan to rely on them at hearing.
- 4. If a document exists in both hard copy and electronic formats, a Party may produce the electronic copy only.
- 5. If the same relevant e-mail exists in multiple locations, each party may produce only one copy of that e-mail. If the e-mail exists in both sender 2
and recipient e-mail folders, the party may produce the senders copy of the e-mail. If a chain or string of e-mails exists, the party need only produce the last e-mail in the chain or string, provided that it includes all of the previous e-mails and recipients of the chain or string.
- 6. The following documents are not relevant to admitted contentions, and need not be produced: documents that contain only administrative information related to a contention, such as notices of upcoming meetings or telephone calls, records of time and expenses, billing statements, and similar documents; and documents older than five years from the date of NextEras submittal of the License Renewal Application to the NRC, which was May 25, 2010.
- 7. All relevant documents available via the NRCs website, or the NRCs Agencywide Documents Access and Management System (ADAMS) will be identified by the NRC Staff as required by 10 C.F.R. §§ 2.336(b) and 2.1203. No Party is required to otherwise identify or produce documents available via the NRCs website or ADAMS.
- 8. The Parties have waived the requirement in 10 C.F.R. §§ 2.336(a)(3) and 2.336(b)(5) to produce a privilege log. However, the Parties shall produce a log of the documents withheld as containing proprietary information.
The Parties agree to preserve and maintain all discoverable privileged documents during the pendency of this proceeding.
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- 9. The duty to update mandatory disclosures and the hearing file shall terminate twenty (20) days prior to the scheduled date for hearing (and in the event of a bifurcated hearing, disclosures relevant to any particular contention shall terminate twenty (20) days prior to the scheduled date for hearing on that contention).
- 10. A party requesting documents from another party will pay any extraordinary expenses. To the extent reasonably practicable, each party will provide electronic copies of the requested documents. Any party other than the NRC Staff shall provide documents larger than 4 MB on CD or DVD. The NRC Staff will provide documents through ADAMS.
As a convenience to Friends of the Coast and New England Coalition, the NRC Staff will provide Friends of the Coast and New England Coalition a courtesy copy of documents larger than 4 MB on CD or DVD. However, for purposes of determining when a document disclosed by the NRC Staff became available, the date of the publicly availability of the document in ADAMS shall control.
- 11. To the extent practicable, documents will be provided in a text searchable and extractable PDF version.
- 12. All the Parties may, at their option, and pursuant to paragraph 10, update their disclosures under 10 C.F.R. § 2.336(d) through the use of e-mail alone. The Staff, however, will make the hearing file available via the Electronic Hearing Docket.
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- 13. The Parties need not provide discovery indexes or proprietary logs to the Board. Instead each Party shall submit a monthly certification to the Board that its disclosures have been complete.
The undersigned, on behalf of the Parties, respectfully request that the Board approve the above listed provisions governing mandatory disclosures in this proceeding.
/Signed (electronically) by Steven Hamrick/
Mitchell S. Ross Steven Hamrick James M. Petro, Jr. NextEra Energy Seabrook, LLC NextEra Energy Seabrook, LLC 801 Pennsylvania Avenue, N.W. Suite 220 700 Universe Blvd. Washington, DC 20004 Juno Beach, Florida 33408 Telephone: 202-349-3496 Telephone: 561-691-7126 Facsimile: 202-347-7076 Facsimile: 561-691-7135 E-mail: steven.hamrick@fpl.com E-mail: mitch.ross@fpl.com james.petro@fpl.com Counsel for NextEra Energy Seabrook, LLC Dated: October 28, 2011 5
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of )
)
NextEra Energy Seabrook, LLC ) Docket No. 50-443-LR
)
(Seabrook Station) )
) ASLBP No. 10-906-02-LR (Operating License Renewal) )
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing Joint Motion Regarding Mandatory Disclosures, were provided to the Electronic Information Exchange for service to those individuals listed below and others on the service list in this proceeding, this 28th day of October, 2011.
Administrative Judge Administrative Judge Paul S. Ryerson, Esq., Chair Dr. Michael Kennedy Atomic Safety and Licensing Board Atomic Safety and Licensing Board Mail Stop T-3 F23 Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Washington, DC 20555-0001 Email: psr1@nrc.gov Email: michael.kennedy@nrc.gov Administrative Judge Secretary Dr. Richard E. Wardwell Attn: Rulemakings and Adjudications Staff Atomic Safety and Licensing Board Mail Stop O-16 C1 Mail Stop T-3 F23 U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Washington, DC 20555-0001 hearingdocket@nrc.gov Email: richard.wardwell@nrc.gov Office of Commission Appellate Adjudication Mary Spencer, Esq.
Mail Stop O-16 C1 Maxwell C. Smith, Esq.
U.S. Nuclear Regulatory Commission Richard Harper, Esq.
Washington, DC 20555-0001 Office of the General Counsel E-mail: OCAAMAIL@nrc.gov Mail Stop O-15 D21 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 E-mail: mary.spencer@nrc.gov
Raymond Shadis Kurt Ehrenberg New England Coalition New Hampshire Sierra Club Post Office Box 98 40 N. Main Street Edgecomb, Maine 04556 Concord, NH 03301 E-mail: shadis@prexar.com E-mail: Kurt.Ehrenberg@sierraclub.org Paul Gunter, Reactor Oversight Project Doug Bogen Beyond Nuclear Executive Director 6930 Carroll Avenue, Suite 400 Seacoast Anti-Pollution League Takoma Park, MD 20912 PO Box 1136 E-mail: paul@beyondnuclear.org Portsmouth, NH 03802 E-mail: bogen@metrocast.net Matthew Brock Assistant Attorney General Environmental Protection Division Office of the Attorney General One Ashburton Place, 18th Floor Boston, Massachusetts 02108 matthew.brock@state.ma.us
/Signed electronically by Steven Hamrick/
Steven Hamrick 2