2007/09/20-Entergy Nuclear Operations Inc. Answer Opposing Intervention Petition of Local 369, Utility Workers Union of America, AFL-CIOML072690159 |
Person / Time |
---|
Site: |
Palisades, Indian Point, Pilgrim, Vermont Yankee, Big Rock Point, FitzPatrick |
---|
Issue date: |
09/20/2007 |
---|
From: |
Matthews J Entergy Nuclear Operations, Morgan, Morgan, Lewis & Bockius, LLP |
---|
To: |
Atomic Safety and Licensing Board Panel, NRC/SECY |
---|
SECY RAS |
References |
---|
50-003-LT, 50-155-LT, 50-247-LT, 50-255-LT, 50-271-LT, 50-293-LT, 50-333-LT, 72-12-LT, 72-43-LT, 72-7-LT, RAS 14178 |
Download: ML072690159 (8) |
|
|
---|
Category:Legal-Intervention Petition
MONTHYEARML11257A1102011-09-14014 September 2011 Certificate of Service for Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Motion to Admit New Contention and for Reply Memorandum Regarding Timeliness and Admissibility of New Contentions ML11257A1092011-09-13013 September 2011 Reply Memorandum Regarding Timeliness and Admissibility of New Contentions Seeking Consideration of Environmental Implications of Fukushima Task Force Report in Individual Reactor Licensing Proceedings ML11257A1112011-09-13013 September 2011 Riverkeeper, Inc. and Hudson River Sloop Clearwater, Inc.'S Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Motion to Admit New Contention Regarding the Fukushima Task Force Report ML11228A0302011-08-11011 August 2011 the State of New York and the State of Connecticut'S Joint Answer in Opposition to Entergy'S Petition for Interlocutory Review of LBP-11-17 ML11217A0662011-07-29029 July 2011 Applicant'S Petition for Review of LBP-11-17 Granting Summary Disposition of Consolidated Contention NYS-35/36 ML11210B4192011-07-26026 July 2011 State of New York'S Response to Applicant'S Motion for Clarification of Licensing Board Admissibility Rulings on Contentions NYS-17B and NYS-37 ML11346A3012011-06-27027 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 ML11179A0922011-06-21021 June 2011 Letter Regarding New York State Department of Environmental Conservation Comments on the NRC Staff'S Final Supplemental Environmental Impact Statement in the Matter of Indian Point, Units 2 and 3, License Renewals ML11133A2882011-04-29029 April 2011 Indian Point, Units 2 & 3, State Submittal of Letter to Bring Two Recent Documents to Attention of the Board and Parties in Connection with NYS Contention-25 ML11117A1462011-04-19019 April 2011 Emergency Petition to Suspend All Pending Reactor Licensing Decisions and Related Rulemaking Decisions Pending Investigation of Lessons Learned from Fukushima Dahchi Nuclear Power Station Accident ML11229A8022011-03-22022 March 2011 Supplementary Certification Regarding Consultation ML11108A1062011-03-21021 March 2011 Combined Reply to Staff and Entergy'S Answers in Opposition to Clearwater'S Motion for Leave and Petition to Amend Contention EC-3 ML1108307802011-03-18018 March 2011 State of New York'S Combined Reply to Entergy and NRC Staff'S Answers to the State'S Proposed Contention 37 Concerning NRC Staff'S December 2010 Final Environmental Impact Statement and Its Deficient Analysis of Energy Alternatives ML1107601812011-03-16016 March 2011 Indian Point - Supplement to NRC Staff'S Answer to Riverkeeper, Inc.'S Motion for Leave to File a New Contention, and New Contention EC-8 Concerning NRC Staff'S Final Supplemental Environmental Impact Statement ML1107503812011-03-10010 March 2011 Entergy'S Response to New England Coalition'S Motion for Stay and Request for Further Opportunity for Hearings ML1107000972011-03-0404 March 2011 State of New York'S Combined Reply to the Answer of Entergy and NRC Staff to the State'S Proposed Amended Contention NYS-17B ML1106703812011-02-25025 February 2011 Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Clearwater and Riverkeeper'S Joint Motion for Leave and Petition to Add New Contentions ML1107402862011-02-23023 February 2011 State of New York Withdrawal of Request for Enlargement of Page Limitation for the State'S Consolidated Answer to Separate Motions for Summary Disposition on Contention 35/36 ML1106604252011-02-23023 February 2011 State of New York'S Combined Reply to Entergy and Staff Cross-Motions for Summary Disposition on NYS Combined Contentions 35 and 36 Concerning the December 2009 Severe Accident Mitigation Alternative Reanalysis ML1105602702011-02-18018 February 2011 Applicant'S Answer to Hudson River Sloop Clearwater, Inc. and Riverkeeper, Inc.'S New Contentions Concerning the Waste Confidence Rule ML1105605892011-02-18018 February 2011 Applicant'S Answer to Proposed Amended Contention, New York State 17B and the Associated Request for Exemption And/Or Waiver of 10 C.F.R. Section 51.23(b) ML1104604922011-02-10010 February 2011 State of New York Answer in Support of the Admission of Clearwater and Riverkeeper'S Proposed Waste Confidence Contentions ML1106802122011-02-0303 February 2011 State of New York New Contention 12-C Concerning NRC Staff'S December 2010 Final Environmental Impact Statement and Underestimation of Decontamination & Clean Up Costs Associated with Severe Reactor Accident in New York Metropolitan Area 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 ML1036300302010-12-23023 December 2010 Entergy'S Response to the Supplement to New England Coalition'S Petition for Commission Review of LBP-10-19 ML1033403292010-11-22022 November 2010 Entergy'S Answer Opposing New England Coalition'S Petition for Commission Review of LBP-10-19 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 ML1030000602010-10-22022 October 2010 State of New York'S Joint Reply to Entergy and NRC Staff'S Separate Answers to the State'S Additional Bases for Previously-Admitted Contention NYS-25 ML1030101042010-10-12012 October 2010 Applicant'S Answer to Amended Contention New York State 25 Concerning Aging Management of Embrittlement of Reactor Pressure Vessel Internals 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 ML1029101452010-10-0404 October 2010 Supporting Attachments to Applicants Answer to New and Amended Contention New York State 26B/Riverkeeper TC-1B (Metal Fatigue) ML1029101422010-10-0404 October 2010 Applicant'S Answer to New and Amended Contention New York State 26B/Riverkeeper TC-1B (Metal Fatigue) ML1028802972010-10-0404 October 2010 Letter from Martin J. O'Neill Counsel for Entergy Nuclear Operations, Inc. to Emile L. Julian Attachments 8 & 13 to Entergy'S Answer to New & Amended Contention New York State 26B & Riverkeeper TC-1B ML1028002492010-09-30030 September 2010 New England Coalition'S Answer & Opposition to Entergy'S Motion to Strike Declaration of Paul Blanch 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 ML1027204022010-09-20020 September 2010 New England Coalition'S Reply to NRC Staff and Entergy Nuclear Vermont Yankee Opposition to New England Coalition'S Motion to Reopen the Hearing & Reply to NRC Staff'S Answer to Proposed New Contention ML1026003772010-09-14014 September 2010 Entergy'S Answer Opposing New England Coalition'S Motion to Reopen ML1030105182010-09-14014 September 2010 State of Ny & Riverkeeper, Inc Submittal of Counter Statement of Material Fact, Combined Response to Entergy'S Motion for Summary Disposition of Combined Contentions NYS 26/26A & Rk TC-1/TC-1A, Declaration of Janice A. Dean.. ML1023712142010-08-16016 August 2010 Riverkeeper Opposition to Entergy'S Motion for Summary Disposition of Riverkeeper Technical Contention 2 (Flow-Accelerated Corrosion) ML1023001462010-08-13013 August 2010 Entergy'S Answer to Riverkeeper Inc.'S Motion to Compel Disclosure of Documents ML1022405782010-08-0202 August 2010 Applicant'S Reply to the State of New York'S & State of Connecticut'S Combined Reply to Entergy & NRC Staff Petitions for Interlocutory Review of LBP-10-13 ML1021100862010-07-26026 July 2010 the State of New York'S and State of Connecticut'S Combined Reply to Entergy and NRC Staff Petitions for Interlocutory Review of the Atomic Safety and Licensing Board'S Decision Admitting the State of New York'S Contentions 35 & 36 (LBP-10- 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 ML1020300502010-07-15015 July 2010 Applicant'S Petition for Interlocutory Review of LBP-10-13 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) 2011-09-14
[Table view] Category:Responses and Contentions
MONTHYEARML11257A1102011-09-14014 September 2011 Certificate of Service for Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Motion to Admit New Contention and for Reply Memorandum Regarding Timeliness and Admissibility of New Contentions ML11257A1092011-09-13013 September 2011 Reply Memorandum Regarding Timeliness and Admissibility of New Contentions Seeking Consideration of Environmental Implications of Fukushima Task Force Report in Individual Reactor Licensing Proceedings ML11257A1112011-09-13013 September 2011 Riverkeeper, Inc. and Hudson River Sloop Clearwater, Inc.'S Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Motion to Admit New Contention Regarding the Fukushima Task Force Report ML11228A0302011-08-11011 August 2011 the State of New York and the State of Connecticut'S Joint Answer in Opposition to Entergy'S Petition for Interlocutory Review of LBP-11-17 ML11217A0662011-07-29029 July 2011 Applicant'S Petition for Review of LBP-11-17 Granting Summary Disposition of Consolidated Contention NYS-35/36 ML11210B4192011-07-26026 July 2011 State of New York'S Response to Applicant'S Motion for Clarification of Licensing Board Admissibility Rulings on Contentions NYS-17B and NYS-37 ML11346A3012011-06-27027 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 ML11179A0922011-06-21021 June 2011 Letter Regarding New York State Department of Environmental Conservation Comments on the NRC Staff'S Final Supplemental Environmental Impact Statement in the Matter of Indian Point, Units 2 and 3, License Renewals ML11133A2882011-04-29029 April 2011 Indian Point, Units 2 & 3, State Submittal of Letter to Bring Two Recent Documents to Attention of the Board and Parties in Connection with NYS Contention-25 ML11117A1462011-04-19019 April 2011 Emergency Petition to Suspend All Pending Reactor Licensing Decisions and Related Rulemaking Decisions Pending Investigation of Lessons Learned from Fukushima Dahchi Nuclear Power Station Accident ML11229A8022011-03-22022 March 2011 Supplementary Certification Regarding Consultation ML11108A1062011-03-21021 March 2011 Combined Reply to Staff and Entergy'S Answers in Opposition to Clearwater'S Motion for Leave and Petition to Amend Contention EC-3 ML1108307802011-03-18018 March 2011 State of New York'S Combined Reply to Entergy and NRC Staff'S Answers to the State'S Proposed Contention 37 Concerning NRC Staff'S December 2010 Final Environmental Impact Statement and Its Deficient Analysis of Energy Alternatives ML1107601812011-03-16016 March 2011 Indian Point - Supplement to NRC Staff'S Answer to Riverkeeper, Inc.'S Motion for Leave to File a New Contention, and New Contention EC-8 Concerning NRC Staff'S Final Supplemental Environmental Impact Statement ML1107503812011-03-10010 March 2011 Entergy'S Response to New England Coalition'S Motion for Stay and Request for Further Opportunity for Hearings ML1107000972011-03-0404 March 2011 State of New York'S Combined Reply to the Answer of Entergy and NRC Staff to the State'S Proposed Amended Contention NYS-17B ML1106703812011-02-25025 February 2011 Combined Reply to NRC Staff and Entergy'S Answers in Opposition to Clearwater and Riverkeeper'S Joint Motion for Leave and Petition to Add New Contentions ML1107402862011-02-23023 February 2011 State of New York Withdrawal of Request for Enlargement of Page Limitation for the State'S Consolidated Answer to Separate Motions for Summary Disposition on Contention 35/36 ML1106604252011-02-23023 February 2011 State of New York'S Combined Reply to Entergy and Staff Cross-Motions for Summary Disposition on NYS Combined Contentions 35 and 36 Concerning the December 2009 Severe Accident Mitigation Alternative Reanalysis ML1105602702011-02-18018 February 2011 Applicant'S Answer to Hudson River Sloop Clearwater, Inc. and Riverkeeper, Inc.'S New Contentions Concerning the Waste Confidence Rule ML1105605892011-02-18018 February 2011 Applicant'S Answer to Proposed Amended Contention, New York State 17B and the Associated Request for Exemption And/Or Waiver of 10 C.F.R. Section 51.23(b) ML1104604922011-02-10010 February 2011 State of New York Answer in Support of the Admission of Clearwater and Riverkeeper'S Proposed Waste Confidence Contentions ML1106802122011-02-0303 February 2011 State of New York New Contention 12-C Concerning NRC Staff'S December 2010 Final Environmental Impact Statement and Underestimation of Decontamination & Clean Up Costs Associated with Severe Reactor Accident in New York Metropolitan Area 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 ML1036300302010-12-23023 December 2010 Entergy'S Response to the Supplement to New England Coalition'S Petition for Commission Review of LBP-10-19 ML1033403292010-11-22022 November 2010 Entergy'S Answer Opposing New England Coalition'S Petition for Commission Review of LBP-10-19 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 ML1030000602010-10-22022 October 2010 State of New York'S Joint Reply to Entergy and NRC Staff'S Separate Answers to the State'S Additional Bases for Previously-Admitted Contention NYS-25 ML1030101042010-10-12012 October 2010 Applicant'S Answer to Amended Contention New York State 25 Concerning Aging Management of Embrittlement of Reactor Pressure Vessel Internals 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 ML1029101452010-10-0404 October 2010 Supporting Attachments to Applicants Answer to New and Amended Contention New York State 26B/Riverkeeper TC-1B (Metal Fatigue) ML1029101422010-10-0404 October 2010 Applicant'S Answer to New and Amended Contention New York State 26B/Riverkeeper TC-1B (Metal Fatigue) ML1028802972010-10-0404 October 2010 Letter from Martin J. O'Neill Counsel for Entergy Nuclear Operations, Inc. to Emile L. Julian Attachments 8 & 13 to Entergy'S Answer to New & Amended Contention New York State 26B & Riverkeeper TC-1B ML1028002492010-09-30030 September 2010 New England Coalition'S Answer & Opposition to Entergy'S Motion to Strike Declaration of Paul Blanch 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 ML1027204022010-09-20020 September 2010 New England Coalition'S Reply to NRC Staff and Entergy Nuclear Vermont Yankee Opposition to New England Coalition'S Motion to Reopen the Hearing & Reply to NRC Staff'S Answer to Proposed New Contention ML1026003772010-09-14014 September 2010 Entergy'S Answer Opposing New England Coalition'S Motion to Reopen ML1030105182010-09-14014 September 2010 State of Ny & Riverkeeper, Inc Submittal of Counter Statement of Material Fact, Combined Response to Entergy'S Motion for Summary Disposition of Combined Contentions NYS 26/26A & Rk TC-1/TC-1A, Declaration of Janice A. Dean.. ML1023712142010-08-16016 August 2010 Riverkeeper Opposition to Entergy'S Motion for Summary Disposition of Riverkeeper Technical Contention 2 (Flow-Accelerated Corrosion) ML1023001462010-08-13013 August 2010 Entergy'S Answer to Riverkeeper Inc.'S Motion to Compel Disclosure of Documents ML1022405782010-08-0202 August 2010 Applicant'S Reply to the State of New York'S & State of Connecticut'S Combined Reply to Entergy & NRC Staff Petitions for Interlocutory Review of LBP-10-13 ML1021100862010-07-26026 July 2010 the State of New York'S and State of Connecticut'S Combined Reply to Entergy and NRC Staff Petitions for Interlocutory Review of the Atomic Safety and Licensing Board'S Decision Admitting the State of New York'S Contentions 35 & 36 (LBP-10- 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 ML1020300502010-07-15015 July 2010 Applicant'S Petition for Interlocutory Review of LBP-10-13 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) 2011-09-14
[Table view] |
Text
DOCKETED USNRC September 21, 2007 (8:50am)
UNITED STATES OF AMERICA OFFICE OF SECRETARY NUCLEAR REGULATORY COMMISSION RULEMAKINGS AND ADJUDICATIONS STAFF ATOMIC SAFETY AND LICENSING BOARD BEFORE THE SECRETARY
)
In the Matter of: ) September 20, 2007
)
Entergy Nuclear Operations Inc. ) Docket Nos. 50-293 (Application for Order Approving Indirect )50-003 Transfer of Control of Licenses) ) 50-247
) 50-286
) 50-333 & 72-12
) 50-271
) 50-255 & 72-7
) 50-155 & 72-43
)
ENTERGY NUCLEAR OPERATIONS INC. ANSWER OPPOSING INTERVENTION PETITION OF LOCAL 369, UTILITY WORKERS UNION OF AMERICA, AFL-CIO I. INTRODUCTION Pursuant to 10 CFR § 2.309(h), Entergy Nuclear Operations Inc. acting on behalf of itself and Entergy Nuclear Generation Company, Entergy Nuclear FitzPatrick, LLC, Entergy Nuclear Vermont Yankee, LLC, Entergy Nuclear Indian Point 2 LLC, Entergy Nuclear Indian Point 3 LLC, and Entergy Nuclear Palisades LLC, (together, "Entergy") provides its Answer Opposing the Petition of Local 369, Utility Workers Union of America, AFL-CIO for Leave to Intervene and Request for Initiation of Hearing Procedures ("Petition") dated September 18, 2007.
As Entergy demonstrates below, Local 369's Petition is premature, because there is no pending proceeding in which a petitioner might seek to intervene. The NRC Staff has not yet published in the Federal Register its notice of receipt of Entergy's application in the I-PH/2754707.1 em Plafe=S CY- 03 7 -
above-captioned matter, which would identify the proposed actions under consideration and thereby define the scope of any proceeding, and which would provide the opportunity to request a hearing.
Therefore, in accordance with the Commission's rules and precedent, Entergy requests that the Secretary of the Commission promptly return the Petition to Local 369 with no further action.
II. BACKGROUND On July 30, 2007, Entergy submitted its Application for Order Approving Indirect Transfer of Control of Licenses ("Application") to the U.S. Nuclear Regulatory Commission (NRC). See Letter from Mr. Michael R. Kansler, President and Chief Executive Officer, Entergy Nuclear Operations, to James. E. Dyer, Director, Office of Nuclear Reactor Regulation, ADAMS Accession No. ML072220219 (Jul. 30, 2007). In its Application, Entergy requested NRC approval of the indirect transfer of control of the NRC licenses associated with the above-captioned docket numbers. See id. ENO stated that the request for transfer of control was due, inter alia, to certain restructuring transactions that "will involve the creation of new intermediary holding companies and/or changes in the intermediary holding companies for the ownership structure for the corporate entities that hold the NRC licenses for the Pilgrim, Indian Point 1, 2, and 3, FitzPatrick, Vermont Yankee, Palisades, and Big Rock Point." See id.
On September 18, 2007, Local 369 filed its Petition seeking "leave to intervene on behalf of itself and its members in the instant proceedings." Petition at 1-2. In its Petition, Local 369 generally averred that the indirect transfer would result in unspecified safety impacts and could result in "harm to [members of Local 369's] career prospects."'- Id. at 5.
Because the Petition is premature and should be rejected, ENO does not address the substantive issues of standing and contention admissibility in its present Answer.
I -PH/2754707. 2
At the time that Local 369 filed its Petition, the NRC had not yet published in the Federal Register a notice of receipt of Entergy's Application ("Notice") as required by 10 CFR
§ 2.1301(b), and no such Notice has yet been published.a 1II. PETITION HAS BEEN FILED PREMATURELY AND SHOULD BE REJECTED A. Applicable Legal Standards
- 1. Requirement for Federal Register Notice to Commence Proceeding The Commission will publish in the Federal Register a notice of receipt of an application for approval of a license transfer involving 10 CFR part 50 and part 52 licenses, major fuel cycle facility licenses issued under part 70, or part 72 licenses. 10 CFR § 2.1301(b). This notice of receipt of the application constitutes the notice required by § 2.105- with respect to all matters related to the application requiring NRC approval. See id. Because 10 CFR § 2.1301(b) satisfies the notice requirements of § 2.105, the notice of receipt of the application constitutes notice to any person whose interest may be affected by the license transfer proceeding and gives such persons leave to file a request for a hearing. See 10 CFR §§ 2.1301(b) & 2.105(d)(2).
A license transfer proceeding commences when the Staff publishes its notice of receipt of the application in the Federal Register in accordance with 10 CFR § 2.1301(b). See 10 CFR
§ 2.318(a) ("A proceeding commences when a notice of hearing or a notice of proposed action under § 2.105 is issued"); 10 CFR § 2.1301(b) ("[notice given under 10 CFR § 2.1301(b)]
constitutes the notice required by § 2.105 with respect to all matters related to the application requiring NRC approval").
A list of notices of ownership change is provided on the NRC's website at www. nrc.-,ov/abhOLt-fnrC/r 'Ulatory/adjudicaiory/hearin11-Iiccnse-appl icat ions. hrit chan'*W.
10 CFR § 2.105 provides, inter alia,the formal requirements for the content and form of notices.
I-PH/2754707. I 3
In summary, there is no proceeding in a license transfer action until the NRC publishes a notice of receipt of the application for the transfer in the Federal Register.
- 2. Requirement for a Proceeding to Exist as a Prerequisite to Intervention As the Commission has previously established, "[i]t is axiomatic that a person cannot intervene in a proceeding before the proceeding actually exists." See Dominion Nuclear Connecticut, Inc. (Millstone Nuclear Power Station, Units 2 and 3), Memorandum and Order, CLI-04-12, 59 NRC 237, 239 (2004). The Commission has stated that if persons were allowed to intervene before the notice of hearing was published, petitions to intervene could be filed in proceedings that may - or may not - occur years in advance of the applicant or licensee seeking the action sought to be challenged. Id. Issuance of a "notice of hearing" or a "notice of proposed action" is a prerequisite to the initiation of a "proceeding." Id. Thus, if the NRC has not yet issued a notice in the Federal Register, there is no "proceeding" in existence in which to intervene. See id. A petition to intervene filed in such circumstances is clearly premature and should be rejected. See id.
Moreover, the hearing notice serves not only to notify potentially interested persons of the proposed action, but it also defines the scope of the proceeding. See Duke Power Company (Catawba Nuclear Station, Units 1 and 2) ALAB-825, 22 NRC 785 (1985) ("The various hearing notices are the means by which the Commission identifies the subject matters of the hearings . . . ."). Thus, when reviewing a petition to intervene the Presiding Officer looks to the hearing notice to ascertain its subject matter jurisdiction and to define the scope of the proceeding. Dominion Nuclear Connecticut, Inc. (Millstone Nuclear Power Station, Units 2 and 3), LBP-04-15, 61 NRC 81 (2004).
In summary, a person can not intervene in a proceeding that does not exist.
I -PH/2754707. I 4
B. Local 369's Petition is Premature and Should be Rejected On September 18, 2007, Local 369 filed its Petition seeking "leave to intervene on behalf of itself and its members in the instant proceedings." Petition at 1-2. However, as of that date, the Staff had not yet issued its notice of receipt of Entergy's Application pursuant to 10 CFR
§ 2.1301(b). As discussed above, a license transfer proceeding clearly starts when the NRC publishes its notice of receipt of the application in the Federal Register. Here, no Notice has been published, and therefore, there is no "instant proceeding" in which Local 369 may intervene. In Millstone, the Commission confirmed that the Secretary of the Comrunission acted properly when, under comparable circumstances, the Secretary simply returned a premature petition to the petitioner. CLI-04-12, 59 NRC at 240 (the petition "was clearly premature and was correctly rejected by the Secretary").
Furthermore, the Federal Register notice sets forth the scope of proposed actions that would be the subject of any proceeding and thereby identifies "the findings that the NRC must make to support the action that is involved in the proceeding." 10 CFR § 2.309(f)(1)(iv).
Without this information, there is no basis for concluding whether or not a proffered contention is material to the findings that must be made, as required by NRC's rules. Id. To proceed with a hearing, as requested by Local 369, would cause unnecessary inefficiencies as the parties would be required to argue, and the Commission adjudicate, the metes and bounds of the scope of the proceeding.
Finally, Local 369 will not be prejudiced by the requested relief, because it will be free to file its Petition once the NRC publishes a Notice of consideration of the pending application and provides an opportunity for interested parties to request a hearing. See, e.g., 72 FR 32685 (June 13, 2007) (notice regarding proposed indirect transfer of Comanche Peak licenses). Also, should Local 369 choose to file its Petition at the appropriate time (i.e., after the Notice is I -PH/2754707. I 5
published), all interested parties would have the benefit of the proposed actions under consideration and the defined scope of the proceeding.
For all of these reasons, Entergy requests that the Secretary find that Local 369's Petition is premature, and return it to Local 369 with no further action.
Respectfully submitted, John E. Matthews, Esq.
MORGAN, LEWIS & BOCKIUS, LLP 1111 Pennsylvania Ave, N.W.
Washington, DC 20004 Phone (202) 739-5524 E-mail: j[Matthevws(diý morgan lc w is. co I COUNSEL FOR ENTERGY NUCLEAR OPERATIONS INC.
I -PH/2754707.1 6
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE SECRETARY
)
In the Matter of: ) September 20, 2007
)
Entergy Nuclear Operations Inc. ) Docket Nos. 50-293 (Application for Order Approving Indirect )50-003 Transfer of Control of Licenses) ) 50-247
) 50-286
) 50-333 & 72-12
) 50-271
) 50-255 & 72-7
) 50-155 & 72-43 NOTICE OF APPEARANCE Notice is hereby given that the undersigned attorney herewith enters an appearance in the captioned matter. In accordance with 10 CFR § 2.314(b), the following information is provided:
Name: John E. Matthews, Esq.
Address: Morgan, Lewis & Bockius LLP 1111 Pennsylvania Ave. NW Washington, DC 20004 E-Mail: J M atthcws((d, morganle'wis.com Telephone: (202) 739-5524 Facsimile: (202) 739-3001 Admissions: District of Columbia Court of Appeals Name of Party: Entergy Nuclear Operations Inc.
Respectfully submitted, John E. Matthews, Esq.
Morgan, Lewis & Bockius LLP Counsel for Entergy Nuclear Operations Inc.
Dated: 20 September 2007 I -PH/2755859.1
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARD Before the Secretary
)
In the Matter of: ) September 20, 2007
)
Entergy Nuclear Operations Inc. ) Docket Nos. 50-293 (Application for Order Approving Indirect )50-003 Transfer of Control of Licenses) ) 50-247
) 50-286
) 50-333 & 72-12
) 50-271
) 50-255 & 72-7
) 50-155 & 72-43 CERTIFICATE OF SERVICE I hereby certify that copies of"Entergy Nuclear Operations Inc. Answer Opposing Petition of Local 369, Utility Workers Union of America, AFL-CIO for Leave to Intervene and Request for Initiation of Hearing Procedures" were served upon the persons listed below, by e-mail and first class mail, this 20th of September, 2007.
Secretary of the Commission' Gary Sullivan, President Attn: Rulemakings and Adjudication Staff Utility Workers Union of America U.S. Nuclear Regulatory Commission Local No. 369 Mail Stop: 0-16C1 120 Bay State Drive Washington, DC 20555-0001 Braintree, MA 02184 E-mail: hearin2docketanrc.izov E-mail: gsullivan@uwua369.org Scott H. Strauss Rebecca J. Baldwin Spiegel & McDiarmid 1333 New Hampshire Ave., NW Washington, DC 20036 (E-mail: scott.strauss gwspiegelhncd.com rebecca.baldwincspie.*elmcd.com)
Vi cent C. Zabiels v sq.
- E-mail, original and two copies 1-PH/2755578. I 9/20/07