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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARNPL-97-0357, Comment Opposing Proposed NRC Bulletin 96-001,suppl 1, CR Insertion Problems1997-06-19019 June 1997 Comment Opposing Proposed NRC Bulletin 96-001,suppl 1, CR Insertion Problems DD-97-15, Director'S Decision DD-97-15 Re Petitioners Request That NRC Prohibit Loading of VSC-24 Until Coc,Sar & SER Amended Following Independent third-party Review of VSC-24 Design. No Adequate Basis Exists for Granting Petitioners Request1997-06-18018 June 1997 Director'S Decision DD-97-15 Re Petitioners Request That NRC Prohibit Loading of VSC-24 Until Coc,Sar & SER Amended Following Independent third-party Review of VSC-24 Design. No Adequate Basis Exists for Granting Petitioners Request ML20141B0451997-06-0909 June 1997 Requests Extension of Comment Period for NRC Bulletin 96-001,suppl 1 Re Control Rod Insertion Problems ML20198R1511997-03-0505 March 1997 Transcript of 970305 OI Interview of Aj Cayia in Two Rivers, Wi Re NRC Investigation Case 3-97-008.Pp 1-70 ML20198R1361997-03-0404 March 1997 Transcript of 970304 OI Interview of DF Johnson in Two Rivers,Wi Re NRC Investigation Case 3-97-008.Pp 1-37 ML20198R0931997-03-0404 March 1997 Transcript of 970304 OI Interview of Rj Harvey in Two Rivers,Wi Re NRC Investigation Case 3-97-008.Pp 1-28. Supporting Documentation Encl ML20198R1111997-03-0404 March 1997 Transcript of 970304 OI Interview of E Ziller in Two Rivers, Wi Re NRC Investigation Case 3-97-008.Pp 1-33.Supporting Documentation Encl ML20198R1281997-03-0404 March 1997 Transcript of 970304 OI Interview of T Malanowski in Two Rivers,Wi Re NRC Investigation Case 3-97-008.Pp 1-28 ML20134B7371997-01-27027 January 1997 Exemption from Requirements of 10CFR50.60 to Determine That Setpoint for LTOP Events Will Not Present Undue Risk to Public & Safety.Exemption Granted NPL-95-0321, Comment on Proposed 10CFR50.54(p) Re Process for Changes to Security Plans W/O Prior NRC Approval.Supports Proposed Clarification of Language in 10CFR50.54(p)1995-07-11011 July 1995 Comment on Proposed 10CFR50.54(p) Re Process for Changes to Security Plans W/O Prior NRC Approval.Supports Proposed Clarification of Language in 10CFR50.54(p) ML20085E6541995-06-13013 June 1995 Comment Re Draft NUREG/BR-0199, Responsiveness to Public. Expresses Concern on Dry Cask Storage W/Exemption Given to VSC-24 Cask & Procedures for Unloading & Transport at Plant ML20078F4831994-12-20020 December 1994 Comment on Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Np Reactors.Informs That Util of Belief That NRC Already Has Appropriate Regulatory Authority Over Shutdown & low-power Operations,As Provided in Maint Rule ML20077E8361994-12-0101 December 1994 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Low- Power Operations for Nuclear Power Reactors ML20059E9331993-10-27027 October 1993 Comment Supporting Proposed Rule 10CFR171 Re Restoration of Generic Exemption from Annual Fees for Nonprofit Educational Institutions ML20045D7331993-06-13013 June 1993 Comment on Proposed Rule 10CFR26 Re Mods to fitness-for-duty Program Requirements.Recommends That NRC re-evaluate Proposed Testing Frequency Due to Random Testing Rate of 50% Sufficient to Provide Continued Detection Effectiveness ML20127D7191992-09-0606 September 1992 Comment on Proposed Rule 10CFR72 Re Approval of Two Addl Dry Cask Storage Designs.Opposes Rule ML20127D6371992-09-0303 September 1992 Comment on Proposed Rule 10CFR72 Re Approval of Two Addl Dry Cask Storage Designs.Opposes Rule & Urges NRC to Extend Comment Period in Order for Concerned Citizens to Prepare Thorough List of Objections ML20114D2591992-08-24024 August 1992 Comment Opposing Proposed Rule 10CFR72 Re Proposal to Store Spent Nuclear Fuel in VSC-24 Storage Casks at Plant in State of Wi ML20073N1141991-05-10010 May 1991 Comment Supporting Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery ML20058D4831990-10-15015 October 1990 Comment Supporting Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal ML20235S8381989-02-22022 February 1989 Comment Opposing Proposed Rules 10CFR50 & 55 Re Degree Requirement for Senior Reactor Operator (Sro).Unless Grandfathered in Next 4-5 Yrs Author to Be Locked Out of Job & Does Not Intend Spending 20 Plus Yrs as Reactor Operator ML20235N8341989-02-17017 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Effectiveness of Maint Programs for Nuclear Power Plants ML20148K5591988-03-18018 March 1988 Comment Supporting Proposed Rule 10CFR50,App J Re Mass Point Method of Data Analysis.Recommends Test Duration Criteria in ANSI/ANS-56.8-1987,Section 5.4 Be Accepted in Revised Regulations ML20236Q7991987-11-0909 November 1987 Comments on Proposed Rev 2 to Reg Guide 1.100 Re Seismic Qualification of Electrical & Mechanical Equipment for Nuclear Power Plants ML20235V8231987-10-13013 October 1987 Order Imposing Civil Monetary Penalty in Amount of $50,000 Based on Violations Noted During Special Physical Security Insp on 860718-0807 ML20136E0511985-11-20020 November 1985 Memorandum & Order Granting Licensee 850826 Request for Extension of Deadline for Environ Qualification of Electrical Equipment to 860525 for Unit 1 & 851231 for Unit 2.Served on 851120 ML20137C8601985-11-19019 November 1985 Transcript of Commission 851119 Affirmation/Discussion & Vote in Washington,Dc Re SECY-330(a) on Point Beach & SECY-225(a) on Sequoyah.Pp 1-5 ML20138M8711985-10-25025 October 1985 Transcript of 851025 Meeting in Washington,Dc Re Util Requests for Exemption from Environ Qualification.Pp 1-76 ML20078L1661983-10-17017 October 1983 Response Opposing Wisconsin Environ Decade 830923 Petition for Review of ALAB-739 Re Steam Generator Tubes Repaired by Sleeving.Nexus Between Sleeving & Tube Failure Shown. Certificate of Svc Encl ML20078C8801983-09-23023 September 1983 Petition for Review of Aslab 830907 Decision on Sleeving Degraded Steam Generator Tubes.Aslab Erroneously Denied Nexus Shown Between Sleeving & Tube Failure.Certificate of Svc Encl ML20076E1581983-08-22022 August 1983 Response Opposing Wisconsin Environ Decade 830811 Request to Respond to Hf Conrad Affidavit.Aslab Affirmed Dismissal of Decade Petition to Intervene.Decade Thus Lacks Party Standing.Certificate of Svc Encl.Related Correspondence ML20204G3481983-04-29029 April 1983 Brief Opposing Wisconsin Environ Decade Exceptions to ASLB 830204 Initial Decision Authorizing full-scale Sleeving. Exceptions Waived for Failure to Brief or Arguments W/O Merits ML20069K5951983-04-22022 April 1983 Answer Opposing Wisconsin Environ Decade 820407 Petition for Review of ALAB-719 Which Affirmed ASLB 821210 Special Prehearing Conference Order Dismissing Petition to Intervene.Matter Raised Not Reviewable.W/Certificate of Svc ML20073D6991983-04-11011 April 1983 Request for Extension Until 830427 to File Opposition to Wisconsin Environ Decade Brief on Exceptions.Counsel Has Numerous Obligations Before ASLB & Aslab.Certificate of Svc Encl ML20073B9701983-04-0707 April 1983 Petition for Review of Aslab 830322 Decision Denying Wisconsin Environ Decade 821220 Appeal of ASLB 821210 Prehearing Conference Order.Hearing on Steam Generator Tube Degradation Issue Should Be Held.Certificate of Svc Encl ML20069F6491983-03-16016 March 1983 Brief Supporting Wi Environ Decade 830211 Exceptions to ASLB Initial Decision.Aslb Refused to Make Prerequisite Findings on Degree of Assurance Necessary to Protect Public Safety. Affidavit of Mailing Encl ML20071A1311983-02-14014 February 1983 Exceptions to ASLB 830204 Initial Decision.Affidavit of Mailing Encl ML20064H4191983-01-10010 January 1983 Replacement P 2 of 821220 Proposed Findings of Fact & Conclusions of Law in Form of Proposed Initial Decision. Svc List Encl ML20070M0571983-01-0707 January 1983 Comments on Wi Environ Decade Statement of Inadequate Record.Statement Is Inconsistent W/Commission Regulations, Erroneous in Statement of Law,Untimely,Devoid of New Factual Info & Should Not Be Considered.Certificate of Svc Encl ML20028C3031983-01-0404 January 1983 Brief Opposing Wi Environ Decade 821220 Appeal of ASLB 821210 Special Prehearing Conference Order Denying Decade 820810 Petition to Intervene.Decade Willfully Failed to Attend Special Prehearing Conference.W/Certificate of Svc ML20028C3091983-01-0404 January 1983 Proposed Evidentiary Hearings Transcript Changes.Certificate of Svc Encl ML20070M0141982-12-30030 December 1982 Statement of Inadequate Record.Eddy Current Testing Not Proved Adequate for Sleeving Steam Generator Tubes.Record Must Be Reopened.Certificate of Svc Encl ML20070J0141982-12-20020 December 1982 Notice of Appeal from 821210 Special Prehearing Conference Order Dismissing Decade 820810 & 1105 Petitions to Intervene.Affidavit of Mailing Encl ML20070J0341982-12-20020 December 1982 Brief Supporting Appeal from 821210 Special Prehearing Conference Order Denying 820810 Petition to Intervene & Request for Extension of Time to Complete Brief.Dismissal of Petition on Stated Grounds Contrary to Law ML20070H4011982-12-20020 December 1982 Proposed Findings of Fact & Conclusions of Law in Form of Proposed Initial Decision Re Repair of Corroded Steam Generator Tubes by Inserting Sleeves.Certificate of Svc Encl ML20027E3171982-11-0505 November 1982 Contentions Re Steam Generator Replacement,Supplementing 820810 Petition to Intervene ML20027D4691982-11-0202 November 1982 Testimony of Wd Fletcher Re Adequacy of Eddy Current Testing.Certificate of Svc Encl.Related Correspondence ML20069J3451982-10-20020 October 1982 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20065G3861982-09-28028 September 1982 Amend to Wi Environ Decade 820810 Petition to Intervene Including Affidavits Requesting Wi Environ Decade to Intervene on Affiant Behalf.Certificate of Svc Encl ML20063J4521982-08-31031 August 1982 Reply Brief Supporting Wi Environ Decade 820721 Motion Concerning Litigable Issues & in Response to Licensee 820809 & 24 & NRC 820812 Responses.Contentions Timely & Relevant. Certificate of Svc Encl 1997-06-09
[Table view] Category:PLEADINGS
MONTHYEARML20078L1661983-10-17017 October 1983 Response Opposing Wisconsin Environ Decade 830923 Petition for Review of ALAB-739 Re Steam Generator Tubes Repaired by Sleeving.Nexus Between Sleeving & Tube Failure Shown. Certificate of Svc Encl ML20078C8801983-09-23023 September 1983 Petition for Review of Aslab 830907 Decision on Sleeving Degraded Steam Generator Tubes.Aslab Erroneously Denied Nexus Shown Between Sleeving & Tube Failure.Certificate of Svc Encl ML20076E1581983-08-22022 August 1983 Response Opposing Wisconsin Environ Decade 830811 Request to Respond to Hf Conrad Affidavit.Aslab Affirmed Dismissal of Decade Petition to Intervene.Decade Thus Lacks Party Standing.Certificate of Svc Encl.Related Correspondence ML20069K5951983-04-22022 April 1983 Answer Opposing Wisconsin Environ Decade 820407 Petition for Review of ALAB-719 Which Affirmed ASLB 821210 Special Prehearing Conference Order Dismissing Petition to Intervene.Matter Raised Not Reviewable.W/Certificate of Svc ML20073D6991983-04-11011 April 1983 Request for Extension Until 830427 to File Opposition to Wisconsin Environ Decade Brief on Exceptions.Counsel Has Numerous Obligations Before ASLB & Aslab.Certificate of Svc Encl ML20073B9701983-04-0707 April 1983 Petition for Review of Aslab 830322 Decision Denying Wisconsin Environ Decade 821220 Appeal of ASLB 821210 Prehearing Conference Order.Hearing on Steam Generator Tube Degradation Issue Should Be Held.Certificate of Svc Encl ML20069F6491983-03-16016 March 1983 Brief Supporting Wi Environ Decade 830211 Exceptions to ASLB Initial Decision.Aslb Refused to Make Prerequisite Findings on Degree of Assurance Necessary to Protect Public Safety. Affidavit of Mailing Encl ML20071A1311983-02-14014 February 1983 Exceptions to ASLB 830204 Initial Decision.Affidavit of Mailing Encl ML20070J0341982-12-20020 December 1982 Brief Supporting Appeal from 821210 Special Prehearing Conference Order Denying 820810 Petition to Intervene & Request for Extension of Time to Complete Brief.Dismissal of Petition on Stated Grounds Contrary to Law ML20063J4521982-08-31031 August 1982 Reply Brief Supporting Wi Environ Decade 820721 Motion Concerning Litigable Issues & in Response to Licensee 820809 & 24 & NRC 820812 Responses.Contentions Timely & Relevant. Certificate of Svc Encl ML20063D1301982-08-24024 August 1982 Response to Wi Environ Decade 820721 Amend to Motion Re Litigable Issues.Proposed Contention 3(f) Fails to Satisfy Requirements for Establishing Litigable Issues.Motion Should Be Rejected.Certificate of Svc Encl ML20063D0131982-08-20020 August 1982 Amend to Motion Re Third Litigable Issue on Increased Probability of Tube Failures Due to Sleeving,Per ASLB Direction During 820601 Conference.Change Adds Contention F on Sleeves in Corroded Tubes.W/Certificate of Svc ML20063C6411982-08-0909 August 1982 Response to Wi Environ Decade 820720-21 Motion Concerning Litigable Issues.Decade Estopped from Raising Number of Proposed Contentions.Decade Fails to Justify Untimeliness. Some Proposed Issues Irrelevant ML20058C0221982-07-22022 July 1982 Motion for Leave to Conduct Discovery of Wi Environ Decade Re Decade Contacts W/Sleeving Demonstration Program Workers. Discovery Requests Based on New Info.Interrogatories & Certificate of Svc Encl ML20054L6391982-06-30030 June 1982 Request for Clarification of Paragraph 7 of ASLB 820526 Memo & Order.Paragraph Can Be Interpreted as Suspending FOIA Applicability to Enumerated Westinghouse Proprietary Info. W/Certificate of Svc.Related Correspondence ML20052F3221982-05-0707 May 1982 Addendum to Wi Environ Decade 820503 Motion for Reconsideration of Part II of ASLB 820422 Memorandum & Order Re Motion to compel.NUREG-0909 Re Ginna 820125 Tube Rupture Adds & Strengthens Motion.Certificate of Svc Encl ML20052D8301982-05-0303 May 1982 Motion for Reconsideration of ASLB 820422 Memorandum & Order Part II Denying Decade Motion to Compel Response to Embrittlement Interrogatories.Certificate of Svc Encl ML20052F3701982-05-0202 May 1982 Reply Brief on Confidentiality Issue in Response to Westinghouse,Wi Electric Power Co & NRC Briefs & Opposing Trade Secret Protection for Sleeving Safety Tests. Certificate of Svc Encl ML20052C7341982-04-30030 April 1982 Reply Brief Opposing Wi Environ Decade Oral Motion for Public Disclosure of Certain Proprietary Info.Motion Is Impermissible Challenge to Commission Regulations. Certificate of Svc Encl ML20052A3601982-04-21021 April 1982 Brief of Westinghouse,Appearing Specially,Re 10CFR2.790 Balancing Test.Aslb Should Affirm NRC Determination & Continue to Accord Westinghouse Proprietary Info Protection Against Public Disclosure.Certificate of Svc Encl ML20054E0501982-04-21021 April 1982 Brief Opposing Wi Environ Decade Oral Motion for Public Disclosure of Proprietary Info.No Special Circumstances Exist to Overrule.Commission Compelling Public Policy Reason for Withholding Proprietary Info.Certificate of Svc Encl ML20052A3821982-04-20020 April 1982 Brief Re Confidentiality Issue.Opposes Trade Secret Protection for Safety Tests, & Receipt of Evidence Into Record of Info Withheld from Opposing Parties.Certificate of Svc Encl ML20054D9811982-04-16016 April 1982 Reply to Licensee 820412 Response to Wi Environ Decade 820328 Motion to Compel Licensee Answer to First Set of Interrogatories.Aslb Jurisdiction Should Be Expanded. W/Certificate of Svc.Related Correspondence ML20050V1421982-04-12012 April 1982 Response Opposing Wi Environ Decade 820328 Motion to Compel Answers to First Set of Interrogatories Re full-scale Sleeving.Interrogatories Irrelevant ML20050V0221982-04-12012 April 1982 Response Opposing Wi Environ Decade 820328 Request to Undertake Discovery of NRC on Recent Events at Ginna & TMI Re Steam Generator Tube Degradation.Proposed Discovery Beyond Scope of Hearing.Certificate of Svc Encl ML20050A8321982-03-28028 March 1982 Motion to Compel Answer to First Set of Interrogatories Directed to Licensee Re full-scale Sleeving.Related Correspondence ML20049K0501982-03-24024 March 1982 Answer Supporting Westinghouse 820309 Motion for Reconsideration of ASLB 820226 Memorandum & Order. Decision on Withholding Proprietary Info Substantive & Sua Sponte Rule Applicable.W/Certificate of Svc ML20041F7691982-03-11011 March 1982 Response to Wi Environ Decade 820227 Objection to Admission of Testimony on Confidentiality Issue.Decade Objection to Deletion of Info Re Amount of Money Expended to Develop Sleeving Program Unwarranted.Certificate of Svc Encl ML20041F0831982-03-10010 March 1982 Answer Opposing Wi Environ Decade 820224 Motion to Reconsider ASLB 820219 Memorandum & Order,Part Iv.No Objection to Alternative Motion That Order Be Clarified. Certificate of Svc Encl ML20041G1661982-03-0909 March 1982 Motion for Consideration of Portion of ASLB 820226 Memorandum & Order in Which ASLB Refused to Forward Determination Re Sua Sponte to Question to Ofc of General Counsel & Commission.Certificate of Svc Encl ML20041E2661982-02-27027 February 1982 Objection to Admisssibility of RA Wiesmann & Tg Colburn Testing on Confidentiality Issue.Intervenor Copy of Wiesmann Testimony Does Not Include Alleged Investment Cost Re Sleeving.W/Certificate of Svc.Related Correspondence ML20041C6741982-02-24024 February 1982 Motion for Reconsideration of Part IV of ASLB 820219 Memorandum & Order.Prior Policy That Contentions Need to Be Completely Enumerated Until Filing of Motion Concerning Litigable Issues Should Be Reinstated.W/Certificate of Svc ML20041C3311982-02-23023 February 1982 Motion to Certify ASLB Determination in 820202 Order.Page 9, Re Sua Sponte Question,To Commission.Alternatively Requests ASLB Forward Order to Ofc of General Counsel & Commission for Commission Determination.Certificate of Svc Encl ML20041A4511982-02-16016 February 1982 Response Opposing Wi Environ Decade 820202 Motion to Dismiss Portion of Licensee Application Requesting Authorization to Repair Steam Generators by Sleeving.Repair No Contemplated But May Be Required.W/Certificate of Svc ML20041A4471982-02-16016 February 1982 Response Opposing Wi Environ Decade 820101 Motion for Continuance.Established Schedule Will Not Lead to Decision to Advance Contemplated Sleeving Program.Problems at Ginna & TMI Are Irrelevant ML20040F3031982-02-0202 February 1982 Motion to Dismiss Portion of Licensee Application for Ola to Sleeve Instead of Plug Defective Steam Generator Tubes in Unit 1.Possibility of Sleeving Unit 1 No Longer Contemplated.Certificate of Svc Encl ML20040E9901982-02-0202 February 1982 Motion to Compel Wi Environ Decade Further Responses to Licensee Interrogatories.Intervenor 820118 Ltr Does Not Respond to 25 of 32 Interrogatories That Were Subj at 811209 Motion for Intervenor Dismissal.Certificate of Svc Encl ML20040E9861982-02-0101 February 1982 Motion for Continuance in Scheduling Final Deadlines for Discovery,Determinations on Litigative Issues & Hearings Until Fall 1982.Sleeving to Be Delayed Until Spring 1983. Events at Ginna May Become Relevant.W/Certificate of Svc ML20039E1821981-12-31031 December 1981 Motion for Leave to Commence Limited Discovery,If Necessary, to Schedule Evidentiary Hearing.Limited Discovery Will Simplify Consideration of Matters.Regulations Neither Prohibit or Allow Discovery by Person Not Party ML20039E1731981-12-31031 December 1981 Motion for Reconsideration of Portions of ASLB 811221 Memorandum & Order.Listed Topics Considered in Order W/O Full Discussion of Matters Involved.Same Result Would Not Have Been Reached If Issues Fully Understood ML20039E1611981-12-31031 December 1981 Brief Supporting Westinghouse Proposed Protective Agreement.Great Harm Will Come to Westinghouse Competitive Position If Confidential Commercial Insight Info Revealed to Competitors ML20039D8691981-12-28028 December 1981 Brief Opposing Wi Environ Decade 811119 Exceptions to ASLB 811105 Memorandum & Order.Appeal Is Interlocutory & Proscribed by Commission Rules.Discretionary Interlocutory Review Not Requested.Certificate of Suc Encl ML20039B5451981-12-17017 December 1981 Reply Brief on Issue of ASLB Jurisdiction to Decline to Afford Proprietary Info Protection from Public Disclosure. ASLB Should Refrain from Making Determination as to Proprietary Nature of Info.Certificate of Svc Encl ML20062M1011981-12-11011 December 1981 Amend to 811209 Motion for Order Dismissing Wi Environ Decade as Party to Proceeding.Decade 811208 Responses to Licensee 811120 Second Set of Interrogatories Evidence Deliberate Refusal to Meet Obligations.W/Certificate of Svc ML20062M0111981-12-11011 December 1981 Reply Brief to NRC 811207 Brief on ASLB Jurisdiction to Make Determinations Re Withholding Info from Public Disclosure. ASLB Has Jurisdiction But Can Only Exercise Authority Where Issue Is in Controversy.W/Certificate of Svc ML20062L9611981-12-0909 December 1981 Motion for Dismissal of Wi Environ Decade as Party in Proceeding.Intervenor Has Failed to Specify Adequate Bases for Contentions.Response to Interrogatories Devoid of Substance.Certificate of Svc Encl ML20062M2661981-12-0707 December 1981 Reply Opposing Westinghouse 811124 Brief to Bar Access to Allegedly Proprietary Data.Westinghouse Affidavit,Supporting Trade Secret Protection for Controversial Documents,Violates Due Process Clause.W/Certificate of Svc ML20062L9581981-12-0707 December 1981 Brief on Issue of ASLB Jurisdiction to Decline to Afford Proprietary Info Protection from Public Disclosure.Aslb Should Recognize Validity of NRC Determination Re Info Proprietary Status.Certificate of Svc Encl ML20038A9841981-11-12012 November 1981 Response Opposing Wi Environ Decade 811030 Oral Motion for Disclosure of Proprietary Info.Disclosure Would Be Inconsistent W/Commission Regulations,Applicable Law & Sound Public Policy.Certificate of Svc Encl ML20005C1581981-11-12012 November 1981 Answer Opposing Wi Environ Decade Motion for Public Disclosure of Proprietary Info.Aslb Oral Order Allowing Interim Proprietary Protection for Info Should Be Continued in Effect 1983-09-23
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Text
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.g,s o C C. [.C. . "
'82 MY -6 CD M5"* ~
(.- . -
~
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
& fore the Atomic Safety and Licensing Board w
f Wisconsin Electric Power Company POINT BEACH NUCLEAR PLANT UNITS i & 2 Y a DOCKET NOS. 50-266 AND 50-301 #
Operating License Amendment ($ I (Steam Generator Tube Sleeving Program) ; d DECADE'S MOTION FOR RECONSIDERATION OF BOARD D' g MEMORANDUM AND ORDER CONCERNING MOTION TO COMPE
% . a cc Wisconsin's Environmental Decade, Inc. (" Decade") , hereby moves the Atomic Safety and Licensing Boar d (" Board") in the above-captioned matter for reconsideration of Part II(Embrittlement Interrogatories) of its Memorandum and Order Concerning a Motion to Compel, entered April 2 2, 19 8 2 ("Ord e r") ,
in order to:
(1) Compel the Licensee to answer Decade's interrogatories concerning. c.r.brittlement; or, in the alternative, ;
(2) Devise its own m9ans of insuring that the embrittlement issue is address'ed in a timely fashion.
This motion is made on the grounds set forth below.
2 0'
g5 8205070256 820503 6 b
$DRADOCK 03000266 PDR l l}
i
~,_
The Licensee had objected to answering the interrogatories based upon an argument that embrittlement is unrelated to sleeving.M In rebuttal, the Decade had asserted that potential 4
actions taken to ameliorate embrittlement could mean that an otnerwise minor impairment of safety functions from defective ,
sleeves would become a matter of major significance.
The Board in its Order has sustained the Licensee's .
objection, but not on the grounds maintained by the utility. I Indeed, b for the purpose of enforcing discovery, the Board 2 recognizes that there is a nexus between e:abrit tlemen t and f sleeving to establish relevance, bmt nonetheless denies ^
enforcement of discovery for this reason:
"However, our review of Decade's filings fails to discover any showing of how the sleeving program would cause problems in the reactor pressure vessel or how discovery of informtion about- embrittlement, or steps to remedy embrittlement, would lead in any way to information reflecit ,
unfavorably on the safety of sleeving. Indeed, Decade seems ;;
to have things somewhat reversed. It seems is to be arguing $
that if the sleeving program would weaken steam generator =
tubes then reactor vessel problems of enbrittlement and thermal 5 dangerous.shock would make this weakend[ sic] condition @
tubes wouldItcause also argues specialthat a failure problems at ofPoint steam generator Beach if the 5 reactor core should be reconfigured in embrittlement problems, thereby increasing the cooling response to ME es requirements coolant accident.in the center of the core during a loss of ggg
[ Emphasis in textl i=Id E
E "For the purpose of analyzing the relevance of these .E arguments, let us assume that Decade can prove its uderlying premise, 5 sleeving and that steam would be generator dangerous.tubes would be weakened by G If Decade demonstrates the truth of that premise, then it will have drawn the tube Es sleeving project into serious question. However, the gig
.=5 validity of Decade's case depends on its proving that tube weakening may occur and does not depend on whether the FF reactor vessel is embrittled. Evidence of embrittlement .E5 would not contribute to the proof that sleeving weakened the _%
tubes and is therefore dangerous. EE; vessel .is embrittled would hg unnecessarv Further oroof icing thatcake.
an j;he ihm =
unessential in obtaining relief f rom .g sleeving project that =
had been shown in he unsafe." [ Emphasis added] =
N
Order, at p. 4.
If our understanding of the Order is correct, the Board is stating that the ultimate issue in this case is whether sleeving is safe or unsafe. Compounding problems arising out of
(
embrittlement do not bear on this question because they would only make an already unsafe condition more unsafe,- in the view of the Board.
That statement of the issue, we believe, does not comport with the law established by Commission to govern these j1 i
proceedings. ;
g 3
Rightly or wrongly, a license amendment such as this one is i e
controlled by 10 C.F.R.
S50.57 (a) (3) , which states that the Board shall find that:
"There is a rgangnnk11 Azzurangs activities authorized by the operating licensethat can the (i) be conducted without endangering the health and safety of the $
public, and (ii) that such activities will be conducted in 3 compliance with the regulations in this chapter."
added] [ Emphasis a
f O
This formulation of the issue has apparently been accepted by the Board on another occasion. Transcript p. 164.
Thus, the question of safety is n21 treated by the WS y
Commission as some kind of light switch that is either on or off, !
but rather as a matter of degree; and this undermines the Board's is 3
logic for denying enforcement of discovery in this regard. $
55
!!5 For the way that this process has evinced itself in the case of Point Beach is as an imputed analysis of probabilities. In an }M is M
carlier phase of this docket arising out of Decade's November 13,
]C 1979 S2.206 petition, the Staf f rejected our safety concerns by $
Es:
en analysis that implicitly utilized such a relative process. E
i First, the Staf f postulated that the secondary-to primary in-leakage during a loss-of-coolant-accident ("LOCA") would have to exceed 1300 gallons per minute to result in unacceptable steam binding. Second, it made an estimate of the in-leakage f rom a _
i ruptured tube within the tubesheet and in the freestanding region l
of the steam generator, which was 7 gallons per minute and 27 gallons per minute, respectively. This implied the necessity-for
~
185 ruptures in the tubesheet or 48 above to stall reflood. It then evaluated such a leak rate against the number of tube '
f ailures thet, in its view, could be expected during a LOCA in
.the absense si sleeve induced failures and concluded that there l
was not " undue" risk. Safety Evaluation Report Related to Point 4
Beach Unit 1 Steam Generator Tube Degradation Due to Deep Crevice
?'
Corrosion, dated November 30,1979, at pp. 20 to 21 and Appendix A. Public Meeting of the Nuclear Regulatory Commission on -
Briefing on Point Beach 2.206 Petition, November 28, 1979, at Transcript p. 15.M When this case reaches the merits, the Board will be asked by the Staff and Licensee to undertake the same type of relative review. In perf orming that kind of analysis, the Board will, i illustratively, be asked to weigh its conclusion as to the
- probabi.Lity. of sleeve induced in-leakage during LOCAU against f
that alleged 1300 gallons per minute threshhold of concern for !
steam binding. l But--and this is the critical point--the validity of that j 6
1300 number may be significantly affected by reconfiguration of i i
l the core to ameliorate embrittlement because a higher resultant !
a
, ._. , _ _ _ , . , . . . . . _ _ _ ._ _ , - _ -_,. - __ .. r .. _ _ _ . . ., - .,_l
heat flux in the center of the core may increase cooling requirements, making less in-leakage lower than 1300 gallons per minute fatal for steam binding.
If discovery or subsequent cross-examination of these questions is not permitted, then the Decade will be deprived of its legal right to adduce countervailing evidence. 5 U.S.C.
S554. Ohio Bell Tel. A L. P.U.c. (193 6) , 3 01 U.S. 2 9 2.
Therefore, Decade's motion to compel the Licensee to answer its embrittlement interrogatories should be granted.
In the alternative, in the event the Board, on reconsideration, still determines to deny the motion to compel, it should, i t.self, undertake whatever ef forts are necessary to find a proper and tingly vehicle for investigating the i
core reconfiguration issues. Naive though it may sound in the rarified atnosphere of "H" Street, we firmly believe that every professional employee of the Commission has a solemn obligation to act to prevent a nuclear accident, and, if the present organizational parameters limit such action, that employee is obligated to pursue all proper avenues to correct those limits.
The Commission has already been called on the carpd by its l I
own members f or abusing procedural circumlocutions, not in the pursuit of an orderly process, but rather as a deliberate expedient of evading its responsibilities:
"One need not have high expectations about the contribution that a hearing might make to the safety of the ,
plant in any given case to be distrersed about the levels of '
illusion involved in the Nuclear Regulatory Commission's application of its recent Harble Hill decision to this and to f uture cases. * * *
" * *
- The agency so misstates history that it is clearly either incapable of giving an accurate account of its own past doings or else its legal positions are being
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chosen after the desired result (in this case no meaningful opportunity for hearing) has been decided. ,
" * *
- The hearing being offered as a matter of right i pursuant to Harble Hill is a sham. Petitioners are not permitted to contest the issue that concerns them most, namely the suf ficiency of the NRC's action as against the claimed need for other remedies. In short, the Commission has constructed a test that grants a meaningf ul right to a hearing in cases of this sort only to the utility or another party which may assert that the order goes too far. Anyone else seeking to argue the sufficiency of an NRC imposed remedy must prove that the remedy has made the f acility less safe than it had been. Thus, the public'c opportuntiy to be heard when dangerous conditions are shown to exist at a plant can be foreclosed by a staff action resulting in a minimal improvement in safety. * * *
" * *
- Most unfortunate of all is the way in which the Commission's pell mell retreat from meaningful public inquiry in the twistings between here and Harble 3131 suggests to the staff and the outside world that the agency is run by people living in f ear of their own citizenry. In the wake of the Kemeny and Rogovin Reports' caling for more effective public involvement, the Commission responds with a hearing offer that is a transparent sham."
Order of the Commission Concerning Request for Hearing, Docket 50-266, entered May 12, 1980, at pp.1 to 3(Dissenting Opinion of Commissioners Bradford and Gilinsky. [ Citations omitted]
Please remember, too, that the Commission's own independently commissioned investigation found that there was a mindset in the agency that accidents do not happen. Special Inquiry Group, Three Mile Island (1980), at p. 90.
To the rest of the world, the accident which did occur at Three Mile Island Nuclear Plant on March 28, 1979, demolished any rational basis for such complacency. Yet, the continuation of an attitude in which critical safety questions are ignored and not even considered because of meaningless legalisms can only convince the public that the agency is unfit to perform the responsibilities assigned to it.
,. 6 DATED at Madison, Wisconsin, this 3rd day of May, 1982.
WISCO EIN'S , ENVIRONMENTAL DECADE, INC.
by (, ,) .
PETER ANDERSON l
Director of Public Affairs 114 North Carroll Street Madison, Wisconsin 53703 (608) 251-7020 Footnotes 1 The Licensee argued as a second defense that the Board had previously disposed of this matter adversely to the Decade.
The Board also rejected this defense. Order, at p. 3.
2 Permission to cite the public meeting transcript is requested because the refusal of the Commission to grant a hearing on which a record could be made deprives the Decade of .any other way to establish the Staff's prior positions.
3 The possibility of concluding that sleeves can increase the risk of tube f ailure cannot be ignored. See, f or example, recent reports of leaking sleeves at San Onofre Nuclear Plant. Office of Nuclear Reactor Regulation, ltAEK Af Interest, Week Ending March 26, 1982.
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, .-r (HI'IED S'IATES OF 12 ERICA '-
NirTFAR REGUIAIGE CDtHISSION
=co eny _e: mn /R Wisconsin Electnc Poer Ompany g POINT BEACH NTPTFAR FIAT UNIIS 1 & 2 cc. s c. .:--- I Ibcket Nos. 50-266 and 50-301 02 2i_t .3 ,4 N, v...Ci
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I certify that true and correct cocies of the foregoing docunent will !
be served this day by depositing copies of the same in the first class nn1.ls, 3 postage pre-pairl and cnrrectly ah% to the folkwing: ,f J
Peter B. Bloch, Chairman Istomic Safety & T 1rvmsing Board U. S. Nuclear Pegulatory Camuscion Washington, D. C. 20555 Dr. Hugh C. Paxton ,
1229 -41st Street Ios Alamos, New Ibxico 87544 ,
Dr. Jerry R. Kline -
Atatuc Safety & T irvmsing Board U. S. Nuclear Begulatory Camission Nashington, D. C. 20355 Ibcketing & Service U. S. Nuclear Ibgulatory Ctxmu.ssion .
Washingtcn, D. C. 20555 Mr. Richard Bachmann Office of Executive Icgal Director U. S. Nucloar Begulatory Comnission Washingtcn, D. C. 20555 1
Mr. Bruce W. Churchill l Shaw Pittman Potts and Towbridge i 1800 M. Street N.W. l Washington, D. C. 20036 j s
Barton Cowan 42nd Floor 600 Grant Street g Pittsburgn, PA 15219 ') g
&h. ' c Carol Pfeffcirbrg I
rate: f-k-LA >
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