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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20197J2871998-12-11011 December 1998 Initial Decision (Application for Senior Reactor Operator License).* Appeal of R Herring of NRC Denial of Application for SRO License Denied.With Certificate of Svc.Served on 981211 ML20151W5721998-09-11011 September 1998 NRC Staff Presentation in Support of Denial of Senior Reactor Operator License for Dl Herring.* Staff Decision to Fail Dl Herring on Category a of SRO Exam,Clearly Justified. Staff Denial of Herring SRO License Should Be Sustained ML20151W5941998-09-11011 September 1998 Affidavit of Cd Payne.* Affidavit Re NRC Staff Proposed Denial of Rl Herring Application for Senior Reactor Operator License for Use at Catawba Nuclear Station,Units 1 & 2 ML20151Y0601998-09-11011 September 1998 Affidavit of DC Payne.* Supports Denial of Application of Rl Herring for SRO License ML20151W6131998-09-0808 September 1998 Affidavit of Mn Leach in Support of NRC Staff Response to Rl Herring Written Presentation.* ML20151W6311998-09-0808 September 1998 Affidavit of ET Beadle.* Affidavit Relates to Denial of Senior Reactor Operator License Application for Rl Herring. with Certificate of Svc ML20237B6931998-08-13013 August 1998 Rl Herring (Denial of Operator License for Plant).* Rl Herring Submitted Written Presentation Arguments,Data, Info Matl & Other Supporting Evidence,Per Presiding Officer 980630 Order & 10CFR2.1233.W/one Oversize Drawing ML20237A3831998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Staff Respectfully Requests Motion for Extension of Time of 2 Wks to Respond to Herring Presentation Be Granted.W/Certificate of Svc ML20237B5571998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Granted by C Bechhoefer on 980818.W/Certificate of Svc.Served on 980818 ML20236T8511998-07-21021 July 1998 Specification of Claims.* Rl Herring Claims That Answer Given on Exam Was Correct When TSs Are Considered & When Design Basis Document Considered in Conjunction W/Duke Power Nuclear Sys Div.W/Certificate of Svc.Served on 980727 ML20236F5391998-06-30030 June 1998 Memorandum & Order (Hearing File & Spec of Claim).* Orders That Brief Spec of Claims Should Be Filed by Herring,Telling Why He Believes Staff Erred in Grading Exam.Staff Must Furnish Hearing File.W/Certificate of Svc.Served on 980630 ML20236F5631998-06-30030 June 1998 Notice of Hearing.* Presiding Officer Has Granted Request of Rl Herring for Hearing on NRC Denial of Application for Operator License for Plant.W/Certificate of Svc.Served on 980630 ML20149K8221997-07-29029 July 1997 Exemption from Requirements of 10CFR70.24, Criticality Accident Requirements. Exemption Granted TXX-9522, Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources1995-08-26026 August 1995 Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources ML20065P4491994-04-21021 April 1994 Comment Opposing Proposed Rule 10CFR50.55 Recommendation to Incorporate Proposed Rule to Adopt ASME Code Subsections IWE & Iwl ML20044G7371993-05-25025 May 1993 Comment on Proposed Rules 10CFR170 & 171, FY91 & 92 Proposed Rule Implementing Us Court of Appeals Decision & Rev of Fee Schedules;100% Fee Recovery,FY93. Opposes Rule ML20101R5931992-07-0606 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Opposes Rule ML20091Q8661992-01-31031 January 1992 Comment Opposing Draft NUREG-1022,Rev 1, Event Reporting Sys,10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting ML20087F7471992-01-15015 January 1992 Comment Opposing Rev 1 of NUREG-1022, Event Reporting Sys ML20246J6571989-08-31031 August 1989 Order Imposing Civil Monetary Penalty on Licensee in Amount of $75,000 for Violations Noted in Insp on 881127-890204. Payment of Civil Penalty Requested within 30 Days of Order Date.Evaluations & Conclusions Encl ML20247J8921989-08-31031 August 1989 Order Imposing Civil Monetary Penalty in Amount of $75,000, Based on Violations Noted in Insp on 881127-890204,including Operation in Modes 1-4 W/One Independent Containment Air Return & Hydrogen Skimmer Sys Inoperable for 42 Days ML20205N1471988-10-20020 October 1988 Comment on Petition for Rulemaking PRM-50-50 Re Provision That Authorizes Nuclear Power Plant Operators to Deviate from Tech Specs During Emergency.Request by C Young Should Be Denied ML20234D2821987-09-15015 September 1987 Joint Intervenors Emergency Motion to Continue Hearing for 2 Wks & for Immediate Prehearing Conference.* Urges That Hearing Re Offsite Emergency Planning at Plant,Scheduled for 870928,be Continued Until 871013.Certificate of Svc Encl ML20198C5771986-05-14014 May 1986 Transcript of 860514 Discussion/Possible Vote on Full Power OL for Catawba 2 in Washington,Dc.Pp 1-86.Viewgraphs Encl ML20203N4561986-02-20020 February 1986 Unexecuted Amend 6 to Indemnity Agreement B-100,replacing Item 3 of Attachment to Agreement W/Listed Info ML20151P2231985-12-31031 December 1985 Order Extending Time Until 860110 for Commissioners to Review ALAB-825.Served on 851231 ML20136H7231985-11-21021 November 1985 Decision ALAB-825,affirming Remaining Part of ASLB OL Authorization,Permitting Applicant to Receive & Store Spent Fuel Generated at Duke Power Co Oconee & McGuire Nuclear Power Facilities.Served on 851121 ML20138B3611985-10-11011 October 1985 Order Extending Time Until 851025 for Commission to Act to Review ALAB-813.Served on 851011 ML20137W4311985-10-0202 October 1985 Order Extending Time Until 851011 for Commission to Act to Review ALAB-813.Served on 851003 ML20134N5761985-09-0404 September 1985 Order Extending Time Until 851004 for Commission to Act to Review ALAB-813.Served on 850904 ML20126M2091985-07-30030 July 1985 Order Amending First Paragraph of Footnote 126 Re Need for Power & Financial Qualifications in ALAB-813 . Served on 850731 ML20126K7701985-07-26026 July 1985 Order Extending Time Until 850730 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850729 ML20129C2351985-07-26026 July 1985 Decision ALAB-813 Affirming Aslab Authorization of Issuance of Full Power Ol,Except Insofar as Receipt & Storage Onsite of Spent Fuel Generated at Other Facilities.Served on 850729 ML20129K1651985-07-19019 July 1985 Order Extending Time Until 850726 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850719 ML20129H9361985-07-10010 July 1985 Unexecuted Amend 5 to Indemnity Agreement B-100,changing Items 1 & 3 of Attachment ML20128K2171985-07-0808 July 1985 Order Extending Time Until 850719 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850709 ML20127P0991985-06-28028 June 1985 Transcript of 850628 Supplemental Oral Argument in Bethesda, Md.Pg 99-169 ML20133C5201985-06-26026 June 1985 Undated Testimony of PM Reep Re Welding Inspector Concerns. Rept of Verbal Harassment Encl ML20127K7171985-06-24024 June 1985 Order Extending Time Until 850709 for Commission to Act to Review Director'S Decision DD-85-9 ML20126K6391985-06-17017 June 1985 Order Advising That Counsel Be Familiar W/Content of Commission Request for Public Comment on Decision to Exercise Discretionary Price-Anderson Act Authority to Extend Govt Indemnity to Spent.... Served on 850618 ML20126B8101985-06-13013 June 1985 Order Scheduling Supplemental Oral Argument on Pending Appeals on 850628 in Bethesda,Md Re Public Notice of Hearing Concerning Use of Facility for Receipt & Storage of Spent Fuel from Oconee & Mcguire.Served on 850613 ML20126E4601985-06-13013 June 1985 Notice of Supplemental Oral Argument on Pending Appeals on 850628 in Bethesda,Md.Served on 850613 ML20125B4251985-06-0707 June 1985 Responds to Aslab 850603 Order Requesting Response to NRC 850529 Filing Re Whether Notice of Proposal to Use Catawba to Store Oconee & McGuire Spent Fuel Discretionary or Required.Certificate of Svc Encl ML20126A7631985-06-0404 June 1985 Director'S Decision DD-85-9 Granting & Denying in Part Palmetto Alliance Request for Mod,Suspension or Revocation of CPs for Facilities Due to Harassment & Intimidation of QC Inspectors ML20129A6381985-06-0303 June 1985 Order Allowing Applicant to File & Serve Response to NRC 850529 Assertion Re Storage of Spent Fuel Generated at Another Facility Constituting Use of Commercial Utilization Facility No Later than 850607.Served on 850604 ML20128P0001985-05-29029 May 1985 NRC Views on Whether Notice of Proposal to Use Facility to Store Oconee & McGuire Spent Fuel Required or Discretionary. Certificate of Svc Encl ML20128P1031985-05-29029 May 1985 Memorandum Responding to Palmetto Alliance/Carolina Environ Study Group & Staff 850517 Memoranda Asserting That Fr Notice Not Reasonably Calculated to Inform of Requests Re Spent Fuel.Certificate of Svc Encl ML20127K0231985-05-20020 May 1985 Order Extending Time Until 850529 for Aslab to Act to File & Svc Reply Memoranda.Served on 850521 ML20127G2281985-05-17017 May 1985 Memorandum Responding to 850425 Aslab Order Addressing Four Questions Re Receipt & Storage of Spent Fuel.Certificate of Svc Encl ML20127H0041985-05-17017 May 1985 Response to Aslab Questions on Adequacy of Notice of Proposed Use of Facility to Store Spent Fuel from Oconee & McGuire Facilities.Aslab Has No Jurisdiction Over Proposal. Certificate of Svc Encl 1998-09-08
[Table view] Category:PLEADINGS
MONTHYEARML20151W5721998-09-11011 September 1998 NRC Staff Presentation in Support of Denial of Senior Reactor Operator License for Dl Herring.* Staff Decision to Fail Dl Herring on Category a of SRO Exam,Clearly Justified. Staff Denial of Herring SRO License Should Be Sustained ML20237A3831998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Staff Respectfully Requests Motion for Extension of Time of 2 Wks to Respond to Herring Presentation Be Granted.W/Certificate of Svc ML20237B5571998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Granted by C Bechhoefer on 980818.W/Certificate of Svc.Served on 980818 ML20234D2821987-09-15015 September 1987 Joint Intervenors Emergency Motion to Continue Hearing for 2 Wks & for Immediate Prehearing Conference.* Urges That Hearing Re Offsite Emergency Planning at Plant,Scheduled for 870928,be Continued Until 871013.Certificate of Svc Encl ML20127H0041985-05-17017 May 1985 Response to Aslab Questions on Adequacy of Notice of Proposed Use of Facility to Store Spent Fuel from Oconee & McGuire Facilities.Aslab Has No Jurisdiction Over Proposal. Certificate of Svc Encl ML20127N0831985-05-17017 May 1985 Memorandum in Response to 850425 Aslab Order for Intervenors to Address Spent Fuel Storage Questions.Certificate of Svc Encl ML20106G4911985-02-13013 February 1985 Opposition to Apellants Palmetto Alliance & Carolina Environ Study Group Brief Re Known But Uncorrected QA Program Workmanship Defects That Could Affect Issuance of Ol. Certificate of Svc Encl ML20101E8341984-12-21021 December 1984 Opposition to Intervenors Application for Stay Pending Administrative & Judicial Review.Intervenors Have Not Provided Evidence of Error in Any Rulings.Certificate of Svc Encl ML20108E0311984-12-10010 December 1984 Application for Stay Pending Administrative & Judicial Review of 840622 Partial Initial Decision & 840918 Supplemental Partial Initial Decision on Emergency Planning. Certificate of Svc Encl ML20097J3781984-09-17017 September 1984 Motion for Further Proceedings to Determine Extent & Significance of Foreman Override Practice at Plant.Further Discovery Requested ML20093N5861984-07-30030 July 1984 Motion for Changes to Transcript of Emergency Planning Hearing to Correct Matl Errors.Aslb Requested to Issue Order Directing That Evidentiary Record Be Amended,Incorporating Encl Changes ML20090F3441984-07-16016 July 1984 Motion for Extension of Time for Filing of Briefs to Provide That Briefs of All Parties Would Be Filed After Rendering of Remaining Partial Initial Decisions Now Expected in Oct. Certificate of Svc Encl ML20090G2661984-07-16016 July 1984 Joint Motion for Extension of Time to File Briefs Re 840702 Appeal of 840622 Partial Initial Decision on Emergency Planning.Granted on 840720 by Aslab ML20092N1411984-06-28028 June 1984 Answer Opposing Palmetto Alliance & Carolina Environ Study Group 840531 Motion to Compel Discovery Re Tdi Diesel Generators.Certificate of Svc Encl.Related Correspondence ML20093E3981984-06-27027 June 1984 Request for Action Under 10CFR2.206 to Institute Proceeding to Modify,Suspend or Revoke CP Re Alleged Instances of Harassment & Intimidation of QC Inspectors & Numerous Violations of 10CFR50,App B ML20091J4891984-05-31031 May 1984 Motion to Quash Subpoena for Tl Odom,Chairman,Mecklenburg County Board of Commissioners.Certificate of Svc Encl. Related Correspondence ML20091K6001984-05-31031 May 1984 Joint Motion to Compel Discovery from Applicants Re 840326 Interrogatories & Requests to Produce Documents on Emergency Diesel Generator Contentions.Certificate of Svc Encl.Related Correspondence ML20205Q7791984-05-0101 May 1984 Response to Applicant 840411 Motion for Authorization to Issue License to Load Fuel & Conduct Certain Precritical Testing.Affidavit of Gn Lauber & Certificate of Svc Encl ML20083K6041984-04-11011 April 1984 Motion for Authorization to Issue License to Load Fuel & Conduct Certain Precritical Tests ML20088A0731984-04-0606 April 1984 Motion to Dismiss Intervenor late-filed Contention Re Crankshaft Design of Transamerica Delaval Emergency Diesel Generators.Intervenors Cannot Be Expected to Make Any Sound Contribution.Certificate of Svc Encl ML20087P4061984-04-0404 April 1984 Motion for Protective Order Re Further Response to Palmetto Alliance & Carolina Environ Study Group Interrogatories & Requests to Produce Documents on Contentions.W/Certificate of Svc.Related Correspondence ML20080L1461984-02-14014 February 1984 Motion for Extension of Time for Filing Partial Proposed Findings from 840222 to 840307.Consolidation Will Obviate Need for cross-referencing.Certificate of Svc Encl ML20086L3721984-02-0202 February 1984 Response Opposing Applicant Motion to Bifurcate Hearing Re Emergency Plan Contentions.Bifureation Would Inhibit Development of Adequate Record on Emergency Plan Issues. Affirmation of Svc Encl ML20079N3541984-01-25025 January 1984 Motion for Leave to File Reply Brief to Applicant & NRC Answers to Palmetto Alliance Motion for Directed Certification of ASLB Denial of Discovery on Newly Admitted Contentions ML20079N3611984-01-25025 January 1984 Brief in Reply to Applicant & NRC Answers to Palmetto Motion for Directed Certification of ASLB Denial of Discovery.Fair Hearing Should Be Held on Newly Admitted Contentions ML20079G5011984-01-18018 January 1984 Motion to Bifurcate Hearing & Request for Appointment of Separate ASLB to Rule on Emergency Plan Contentions ML20083J2341984-01-12012 January 1984 Petition for Directed Certification of ASLB 831230 Denial of Applicant Motion to Reconsider Order Revising & Admitting Emergency Planning Contention 11 Re Size of Emergency Planning Zone.Certificate of Svc Encl ML20083J4251984-01-0303 January 1984 Response Opposing Palmetto Alliance Motions to Direct Certification of ASLB Rulings on Discovery Re in Camera Witness Testimony & to Require That Record Remain Open Pending Opportunity for Discovery.W/Certificate of Svc ML20083C0511983-12-16016 December 1983 Motion for Direct Certification of ASLB 831213 & 14 Denials of Discovery by Palmetto Alliance on Issues Raised by in Camera Witnesses.Record Should Remain Open.Certificate of Svc Encl ML20082L0951983-12-0202 December 1983 Answer Opposing Govt Accountability Project Motion for Leave to File Amicus Curiae Brief & Motion to Strike.Portions of Motion & Affidavits W/O Record Support & Invalid.Certificate of Svc Encl ML20082J4071983-12-0101 December 1983 Motion for Leave to File Brief Amicus Curiae Out of Time. Brief Would Address Commission 831117 Order Deferring Util 831115 Request to Stay ASLB Rulings Re Intervenor Contact W/ Util Employee Witnesses.Certificate of Svc Encl ML20082J4451983-12-0101 December 1983 Amicus Curiae Brief Opposing Commission 831117 Order on Applicant Motion to Stay ASLB 831110 & Aslab 831114 Rulings. Order Violates Due Process Rights of Applicant.Certificate of Svc Encl ML20082E1441983-11-23023 November 1983 Answer Opposing Applicant Motion for Stay of ASLB & Aslab Orders.Public Interest Favors Denying Motion.Applicants Failed to Prove Need for Extraordinary Relief Requested. Notice of Appearance & Certificate of Svc Encl ML20082E5321983-11-23023 November 1983 Motion for Leave to File Amicus Curiae Brief Re Util Motion for Stay of ASLB Order Permitting Intervenor Contact W/Util Employees Scheduled to Testify ML20082E5481983-11-23023 November 1983 Amicus Curiae Brief on Util 831115 Request for Stay of ASLB 831114 Order Re Intervenor Contact W/Util Employees Scheduled to Testify in OL Hearings ML20086A9341983-11-15015 November 1983 Motion for Stay of ASLB 831110 & Aslab 831114 Orders Re Discussions Between Employee Witnesses & Intervenors.Since Hearing in Progress,Contact Between Util Employee Witnesses & Intervenor Inappropriate.Certificate of Svc Encl ML20081K6491983-11-0303 November 1983 Motion for Reconsideration of ASLB 830929 Order Revising & Admitting Contention 11 & for Rejection of Contention or Application of 10CFR2.758 Procedures or Referral of Ruling Per 10CFR2.730(f) ML20078B5791983-09-23023 September 1983 Response Opposing Palmetto Alliance 830909 Oral Motion to Reopen Discovery on Contention 6 Re RHR & HVAC Sys,Auxiliary Feedwater Sys & General Design.Issues Do Not Constitute New Info or New Contentions.Certificate of Svc Encl ML20078B8511983-09-23023 September 1983 Objection to ASLB 830914 Prehearing Conference Order, Motion for Reconsideration & Other Relief & Request for Certification or Referral.W/List of Witnesses to Be Subpoenaed Re Palmetto Contention 6 & Certificate of Svc ML20078C8151983-09-23023 September 1983 Objections to ASLB 830914 Prehearing Conference Order.Since Util Has Burden of Proof on Contention 44/18,util Should Have Opportunity to Provide Rebuttal Testimony ML20076L6661983-09-14014 September 1983 Petition Per 10CFR2.206 to Modify CP to Require Independent Contractor Review of as-built Conditions,Design Deficiencies & Qa/Qc Program & to Require Mgt Audit.Certificate of Svc Encl ML20080D4721983-08-26026 August 1983 Motion to Strike or to Require Palmetto Alliance to Comply W/Obligation to Specify Any Addl Concerns of WR Mcafee & Nr Hoopingarner Under Contention 6.Certificate of Svc Encl ML20080D5311983-08-26026 August 1983 Answer Opposing Util & NRC Motions for Summary Disposition of Contentions 11,17 & 27.Many Substantial & Matl Issues of Fact Exist Affecting Public Health & Safety & Environ. Certificate of Svc Encl ML20080C2231983-08-17017 August 1983 Response Opposing Palmetto Alliance 830805 Motion for Sanctions Against Util by Dismissing Motions for Summary Disposition.Motion Factually Inaccurate in Accusations & Legally Insufficient.Certificate of Svc Encl ML20076A8081983-08-15015 August 1983 Response Opposing Util & NRC Motions for Summary Disposition of Carolina Environ Study Group Contention 18/Palmetto Alliance 44.Matl Facts Do Not Relate to Reactor Ability to Withstand Stress.Affirmation of Svc Encl ML20077J5791983-08-15015 August 1983 Motion to Require Palmetto Alliance Compliance W/Terms of ASLB 830620 Memorandum & Order to Advise Other Parties of Addl Concerns within Scope of Contention 6.New Alleged Const Deficiencies Must Be Delineated.Certificate of Svc Encl ML20077J4581983-08-12012 August 1983 Answer Opposing Applicant Motion for Partial Summary Disposition of Contention 6 & Response to Staff 830803 Supporting Answer.Substantial & Matl Issues of Fact Exist ML20024E2931983-08-0505 August 1983 Motion for Sanctions Against Applicant Based on Behavior Re Discovery & Prehearing Procedures & Re Contentions 16 & DES- 19.Util Misrepresented Facts.Util Motion for Summary Disposition Should Be Dismissed.W/Certificate of Svc ML20024E3441983-08-0505 August 1983 Response to NRC & Util Motions for Summary Disposition of Contentions 16,DES-19 & 14.Matl Facts as to Which There Is Genuine Issue to Be Heard Encl for Contentions 16 & DES-19 ML20024C9911983-07-15015 July 1983 Motion for Partial Summary Disposition of Palmetto Alliance Contention 6.No Genuine Issue of Matl Fact Exists & Applicants Entitled to Favorable Decision.Argument & Documentation Supporting Motion Encl.Related Correspondence 1998-09-11
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ccLETED UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
'82 g 17 m M3 BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
{." .
In the Matter of )
)
DUKE F0WER COMPANY, e_t al. ) Docket No. 50-413 50-414 (Catawba Nuclear Station, 1 Units 1 and 2) )
PALMETTO ALLIANCE RESPONSE TO BOARD QUESTIONS AND MOTION REGARDING SECURITY' CONTENTION NO. 23 In its Order dated April 13, 1982, the Licensing Board noted Palmetto Alliance's expression of desire to further pursue its Contention No. 23 regarding inadequate security planning at the facility.
Palmetto Contention No. 23 reads in full:
Catawba should not be licensed to operate until the Applicants L. have developed and demonstrated an adequate security plan which g complies with 10 CFR 73.55. Th ; JR does not give adequate assur-i..
- ance that all regulatory = e v v ts have been or will be met I prior to operation. . See F$AR, p.15-61, Regulatory Guide 1.17, Rev. 1.
In its. March 5,1982, Memorandum and Order the Board had properly 3 observed that, "an itnervenor cannot reasonably be requirec to advance specific contentions about a securii:y plan he'has never seen," and . agreed with the Applicants that "the security plan is protected under the~ Commis-
, 'sion's regulations (10 CFR 2.790), and is not available for inspection."
Order at pp. 37-38. The Board then asked Palmetto to inform them of~its !
desire to proceed, " subject to the kinds of conditions we have indicated, i h
^
B205190009 ' 920510 - E PDR~ADOCK 05000413 0 PDR-
.- L -- . ; - . - . . - .-.--,..,.:... .-- - . - . ,
r If it wishes to proceed, we will then hear from the other parties and consider what further procedures are appropriate." M , pp. 38-39.
Palmetto Alliance responded:
Intervenor Palmetto Alliance infonns the Board of its decision to pursue its contention that the Applicants' securit/
plan is inadequate reserving its right to comment on the appropriateness of further procedures.
Palmetto Alliance and Carolina Environmental Study Group Responses and Objections to Order Following Prehearing Conference, p. 20.
The Board now directs Palmetto Alliance to respond to the following l questions, failing which its contention is to be dismissed with prejudice:
1 j 1. Have you secured the services of a qualified security I plan expert? If you have, submit a statement of that person's qualifications and experience to the Board and parties.-
- 2. If you have no expert at this time, when and how'do you plan to obtain one?
- 3. Is ti.c protective order entered in the~ Diablo' Canyon case acceptable to you?
Order of April 13~,.1982,.pp. 2-3 By direction'of the Licensing Board Chairman, upon'the'. request of counsel for Palmetto Alliance by telephone April 29,.1982, the~ time for l
l service'of responses was extended until May 10','l982. Palmetto. Alliance f
i answers as follows:
1 'nd a 2. Yes;-
i Michael D. Hines Rt. 6,' Box'612:
Mooresville, N.C. ~ 28115 2
r i
Employed from December 5,1978, until December 23, 1981, as Security Specialist, Central and Secondary Access Station Operator and Security Officer by Southern Security Services, Inc., P.O. Box 811',
Cornelius, N.C. 28031~ at Duke Power Company's McGuire Nuclear Station.
Thomas P. Poole Rt. 7, Box 646' '
Mooresville, N.C. 28115 Employed from October 20, 1980, until September 8, 1981, as Security Officer or Guard hy Southern Security Services,-Inc., P.O.
j Box 811, Cornelius, N.C. 28031 at Duke Power Company's McGuire Nuclear Station.
Messers Hines and Poole have . agreed to voluntarily assist the Licens--
4 ing Board and Palmetto Alliance in the investigation and proof of Contention No.'23 'and other concerns regarding deficiencies in Applicants' security planning. As Duke observed in its Response to Contentions Filed hy Palmetto Alliance, at p. 78, its experience at its Oconee and McGuire nuclear facilities in security planning is evidence of the adequacy'of its planning at Catawba. Intervenor asserts that the personal knowledge, training and experience of these former security workers at Duke's McGuire Nuclear Station provides the appropriate and necessary expertise to assist' the' Board and this Intervenor in the' litigation'of' Contention'23 'or other 1
security issues. .
Palmetto Alliance objects to the requirement that it obtain the'ser-vices of "a qualified security plan expert," Order of March 5,= 1982, if that term is understood-to require greater' qualifications or' experience than already secured by Intervenor either through its members, staff and 3
ri
?
1 counsel or through Messers Hines and Poole. Palmetto is infomed and believes that more "fomal" expertise in nuclear power plant security plans is available solely, as a practical matter, to the owners of nuclear plants, by whom they are employed.
- 3. Palmetto Alliance objects to the tems of the protective order and affidavit of'non-disclosure annexed therein as infringing its rights of Free Speech as protected by the First Amendment and constituting an impemissible prior restraint by government on'the exercise of such rights, for~ the reasons stated by Comissioner Bradford, Pacific Gas and Electric Company (Diablo Canyon ~ Nuclear Power Plant, Unit Nos.1 and 2), CLI-80-24,.11 NRC 775 at 779 (1980), As urged by the Comissioner the reach of such a protective order should extend no further than the " protected infomation gained through participa-tion in this proceeding," Id, at p. 780, and not to " protected in-fomation' that I recieve by any means whatever." Affidavit of Non-- i disclosure p. 3. -
Fundamentally Palmetto Alliance objects to participation'in a secret process'by'an agency of government whose charge is protection of the public. In this party's view the Comission's recently promul -
gated regulations, Protection of Unclassified Saf.eguards Infomation, i
46'FR 51718 (October 22,.1981): are impemissably vague and overboard, serve to chill the legitimate exercise of free speech and the right of petition by intervenors and protect the operators of nuclear power plants more from the ire of an infomed public which learns of their raisdeeds
! than from any real threats to security. Palmetto Alliance wants no secrets 4
I l
! ~~
l from' Duke Power Company which'it would be bound to hide.
The experience of Messers Hines and Poole are illustrative of the role of such " secrecy" rules in protecting Duke more than the public. Tom'
'i Poole was declared persona non grata by Duke, and consequently fired by I Southern Security, after embarassing Duke by following the rules while his superiors urged him to ignore them. He complained to the NRC, sought their protection, and was fired the next month. Mike Hines was harassed, demoted and fired when he dared to maintain his friendship with Tom Poole.
Each man has knowledge of serious inadequacies in Duke's security plan and its implementation at McGuire but the secrecy rules serve to chill-l their free discussion of what they know. Each man fears further rerisals and retaliation by Duke against them, their families and other present and former security workers. They ask the protection of this Board so-l they may speak freely.
1
- Palmetto Alliance wishes to pursue its claim that Duke's security plan is inadequate. It accepts the obvious observation'that it can not~
frame a specific criticism of a plan which it has not seen. It is l prepared to undertake an analysis of Duke's plan for Catawba ~, with the help of Hines and Poole and the Board's support, in order to narrow and particularize its contentions. However, Palmetto Alliance is nct pre-pared to be sworn to secrecy; and therefore, seeks access only to such
" sanitized" portions of the security plan and related' materials as contain l
no " safeguards infomation" or other information protected .against public disclosure. Alternately, or as otherwise necessary, Intervenor asks the' Board itself to pursue this security issue pursuant to itsf. general'sua I
5
. ,,- , ,_. y - --- - - - - , , , - - , .+
- -_n-- - ----,----- ---- ---
/
sponte authority, as necessary for'a proper decision in the proceeding, by taking such action as hearing testimony in camera from Hines, Poole' and ,
other present and former security workers willing to present evidence of serious inadequacies but whose identities must for now remain confidential,and retaining its own expert security consultants to examine Duke's plan and other security documents as may be needed.
For the foregoing reasons, Intervenor Palmetto Alliance hereby moves the Board enter an order directing further proceedings on' Contention 23, as herein described, and an order strictly enjoining Duke Power Company,-
Southern Security Services,'Inc., and any person acting in concert with them, from any and all acts of harassment, intimidation or reprisal directed against Michael D. Hines, Thomas P. Poole or any other person'as a result of such person's cooperation in this matter.
Respectfully submitted, t s
~, $ b Robbrt Guild 314. Pall Mall g
Columbia, S.C. 29201 Attorney for Palmetto Alliance f -
l 6
rI UNITED STATES OF AMERICA NUCLEAR REGULATORY C0?f11SSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
DUKE POWER COMPANY, et al. ) Docket No. 50-413
) 50-414 (CatawbaNuclearStation, )
Units 1 and 2) )
CERTIFICATE OF SERVICE I hereby certify that copies of Palmetto Alliance Response To Board Questions and Motion Regarding Security Contention No. 23 in the above captioned matters, have been served upon the following by i deposit in the United States mail this 10 th day of May , 1982.
James L. Kelley, Chairman George E. Johnson, Esq.
Atomic Safety and Licensing Office of the Executive Legal i Board Panel Director U.S. Nuclear Regulatory U.S. Nuclear Regulatory Consnission Comission Washington, D.C. 20555 Washington, D.C. 20555 Dr. A. Dixon Callihan William L. Porter, Esq.
Union Carbide Corporation Albert V, Carr, Jr. , Esq.
P.O. Box Y Ellen T. Ruff, Esq. '
Oak Ridge, Tennessee 37830 Duke Power Company P.O. Box 33189 Dr. Richard R. Foster Charlotte, North Carolina 28242 P.O. Box 4263 Sunriver, Oregon 97701 Richard P. Wilson, Esq.
Assistant Attorney General Chainoan State of South Carolina ,
Atomic Safety and Licensing P.O. Box 11549
, Board Panel Columbia, South Carolina 29211 l U.S. Nuclear Regulatory l Comission l-Washington, D.C. 20555
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1 Chairman Jesse L. Riley Atomic Safety and Licensing 854 Henley Place Appeal Board Charlotte, North Carolina 28207 U.S. Nuclear Regulatory Comission Scott Stucky Washington, D.C. 20555 Docketing and Service Station i Henry A. Presler U.S. Nuclear Regulatory 4 Comission '
Charlotte-Mecklenburg Washington, D.C. 20555 Environmental Coalition 943 Henley Place Charlotte, North Carolina 28207 J. Michael McGarry, III, Esq.
Debevoise & Liberman 1200 Seventeenth St., N.W.
Washington, DC 20036
\ en Robbrt Su Nd Attorney for Palmetto Alliance l
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