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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20196J3291999-06-28028 June 1999 Comment Supporting Proposed Rule 10CFR50 Re Industry Codes & Standards ML20206M7291999-04-30030 April 1999 Comment Supporting Draft RG DG-1083, Content of UFSAR IAW 10CFR50.71(e). Licensee of Listed Plants in Total Agreement with Comments Provided to NRC by NEI HL-5717, Comment Supporting Proposed Rule 10CFR50,52 & 72 Re Changes, Tests & Experiments.Util in Total Agreement with NEI Comments to Be Provided to NRC1998-12-18018 December 1998 Comment Supporting Proposed Rule 10CFR50,52 & 72 Re Changes, Tests & Experiments.Util in Total Agreement with NEI Comments to Be Provided to NRC HL-5715, Comments on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Util Is in Total Agreement with NEI Comments1998-12-14014 December 1998 Comments on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Util Is in Total Agreement with NEI Comments HL-5702, Comment Supporting NEI Comments Totally on Proposed Draft RG DG-4005, Preparation of Supplemental Environmental Repts for Applications to Renew Nuclear Power Plant Ols1998-10-23023 October 1998 Comment Supporting NEI Comments Totally on Proposed Draft RG DG-4005, Preparation of Supplemental Environmental Repts for Applications to Renew Nuclear Power Plant Ols HL-5695, Comment Supporting Nuclear Energy Institute (NEI) Comments on 10CFR50.55(a) Pr, Streamlined Hearing Process for NRC Approval of License Transfers1998-10-13013 October 1998 Comment Supporting Nuclear Energy Institute (NEI) Comments on 10CFR50.55(a) Pr, Streamlined Hearing Process for NRC Approval of License Transfers HL-5690, Comment on Integrated Review of Assessment Process for Commercial Nuclear Plants. Util in Total Agreement with NEI Comments Provided to NRC1998-10-0505 October 1998 Comment on Integrated Review of Assessment Process for Commercial Nuclear Plants. Util in Total Agreement with NEI Comments Provided to NRC HL-5983, Comment on Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors. Snoc in Total Agreement with NEI Comments,To Be Provided to Nrc.Requests That NRC Provide Guidance to Application of NUREG-1022,rev 1 as Listed1998-09-21021 September 1998 Comment on Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors. Snoc in Total Agreement with NEI Comments,To Be Provided to Nrc.Requests That NRC Provide Guidance to Application of NUREG-1022,rev 1 as Listed ML20153B2391998-09-15015 September 1998 Comment on Draft NUREG-1633, Assessment of Use of Ki as Protective Action During Severe Reactor Accidents. Endorses NEI Comments HL-5682, Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents, & Endorsing Comments Submitted by Nuclear Energy Institute1998-09-15015 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents, & Endorsing Comments Submitted by Nuclear Energy Institute HL-5602, Comment Opposing Proposed Rule 10CFR50 Re Industry Codes & Stds1998-04-0303 April 1998 Comment Opposing Proposed Rule 10CFR50 Re Industry Codes & Stds HL-5586, Comment on Proposed Generic Ltr, Year 2000 Readiness of Computer Sys at Npps1998-03-0404 March 1998 Comment on Proposed Generic Ltr, Year 2000 Readiness of Computer Sys at Npps HL-5582, Comment on Draft Reg Guide DG-5008, Reporting of Safeguards Events1998-02-27027 February 1998 Comment on Draft Reg Guide DG-5008, Reporting of Safeguards Events HL-5564, Comment on Draft NUREG 1555, Updated Environ Standard Review Plan1998-01-30030 January 1998 Comment on Draft NUREG 1555, Updated Environ Standard Review Plan HL-5554, Comment Supporting NEI Comments on PRM 50-63A by P Crane Recommending Emergency Planning Standard for Protective Actions Be Changed to Require Explicit Consideration of Prophylactic Use of Potassium Iodide for General Public1998-01-15015 January 1998 Comment Supporting NEI Comments on PRM 50-63A by P Crane Recommending Emergency Planning Standard for Protective Actions Be Changed to Require Explicit Consideration of Prophylactic Use of Potassium Iodide for General Public HL-5546, Comment Supporting Proposed Rule & Direct Final Rule on 10CFR50.68 & 10CFR70.24, Criticality Accident Requirements1997-12-31031 December 1997 Comment Supporting Proposed Rule & Direct Final Rule on 10CFR50.68 & 10CFR70.24, Criticality Accident Requirements HL-5529, Comment Opposing Rule 10CFR50 Re Codes & Standards,Ieee National Consensus Standard1997-12-0101 December 1997 Comment Opposing Rule 10CFR50 Re Codes & Standards,Ieee National Consensus Standard ML20199J0031997-11-24024 November 1997 Comment Supporting Proposed Rule Re Financial Requirements for Decommissioning Nuclear Power Reactors & Draft RG 1060 HL-5424, Comment on NUREG-1606, Proposed Regulatory Guidance Re Implementation of 10CFR50.59 (Changes,Tests or Experiments). Encourages NRC Not to Abandon 30 Yrs of Effective Implementation of 10CFR.50.59 for New Positions1997-07-0707 July 1997 Comment on NUREG-1606, Proposed Regulatory Guidance Re Implementation of 10CFR50.59 (Changes,Tests or Experiments). Encourages NRC Not to Abandon 30 Yrs of Effective Implementation of 10CFR.50.59 for New Positions ML20148N0741997-06-19019 June 1997 Comment on Proposed Suppl to Bulletin 96-001 Re Control Rod Insertion Problems.Util in Complete Agreement That Incomplete Rcca Insertion Not Acceptable HL-5407, Comment Opposing NRC Proposed Strategies to Address Licensees Need to Establish & Maintain safety-conscious Work Environ1997-05-27027 May 1997 Comment Opposing NRC Proposed Strategies to Address Licensees Need to Establish & Maintain safety-conscious Work Environ ML20137C2581997-03-18018 March 1997 Summary of Director'S Decision Under 10CFR2.206 of Mb Hobby & AL Mosbaugh, ML20137C4261997-03-18018 March 1997 Director'S Decision Under 10CFR2.206 Re Petition Re Allegation of Illegal Transfer of OLs to Southern Nuclear Operating Co.Petitions Filed by Mb Hobby & AL Mosbaugh Denied HL-5268, Comment Supporting Draft RG DG-1047, Std Format & Content for Applications to Renew NPP Ols1996-11-27027 November 1996 Comment Supporting Draft RG DG-1047, Std Format & Content for Applications to Renew NPP Ols ML20133H1131996-11-25025 November 1996 Petition for Enforcement,Per 10CFR2.206,to Revoke Northeast Utils Operating Licenses for CT Nuclear Power Stations Due to Chronic,Systemic Mismanagement Resulting in Significant Violations of NRC Safety Regulations ML20129J5481996-10-30030 October 1996 Order.* Extends Time within Which Commission May Take Sua Sponte Review of Memorandum & Order LBP-96-16 to 961129. W/Certificate of Svc.Served on 961030 ML20129K4291996-10-0202 October 1996 Comment Supporting Proposed Rule 10CFR25 & 95, Access to & Protection of Classified Info HL-5247, Comment on Proposed Generic Communication, Primary Water Stress Corrosion Cracking of Control Rod Drive Mechanism & Other Vessel Head Penetrations1996-10-0101 October 1996 Comment on Proposed Generic Communication, Primary Water Stress Corrosion Cracking of Control Rod Drive Mechanism & Other Vessel Head Penetrations ML20128K2791996-09-30030 September 1996 Order.* Time within Which Commission May Take Sua Sponte Review of Memo & Order LBP-96-16 Extended Until 961030. W/Certificate of Svc.Served on 960930 ML20116J8921996-08-0202 August 1996 Withdrawal of AL Mosbaugh.* AL Mosbaugh Voluntarily Withdraws Intervention,Opposition & Contention in Proceedings.W/Certificate of Svc & Svc List ML20116J8551996-08-0202 August 1996 Joint Notice of Termination.* AL Mosbaugh Voluntarily Withdrew Intervention,Opposition & Contentions in Proceeding.W/Certificate of Svc & Svc List ML20116J8431996-08-0202 August 1996 Intervenor Response to Georgia Power Motion for Reconsideration.* Intervenor Supports Motion for Reconsideration.W/Certificate of Svc & Svc List ML20116N5881996-07-31031 July 1996 Comment Re Proposed Rule 10CFR26, Mods to Fitness-For-Duty Program Requirements. Supports NEI Comments ML20116A4931996-07-15015 July 1996 Georgia Power Company Motion for Reconsideration of 960628 Memorandum & Order Or,In Alternative,For Certification.* Gpc Requests That Board Not Require Submittal or Approval of Settlement Between Gpc & Mosbaugh.W/Certificate of Svc ML20115H2671996-07-0808 July 1996 Comment Supporting Final Rule 10CFR51, Environ Review of Renewal of Nuclear Power Plant Operating Licenses HL-5195, Comment Supporting Proposed Rule 10CFR50 Re Financial Assurance Requirements for Decommissioning Nuclear Power Reactors1996-06-24024 June 1996 Comment Supporting Proposed Rule 10CFR50 Re Financial Assurance Requirements for Decommissioning Nuclear Power Reactors ML20114E6491996-06-20020 June 1996 Joint Motion to Defer Issuance of Initial Decision.* Requests That ASLB Defer Issuance of Decision in Proceeding Until 960920,in Order to Allow Gpc & Mosbaugh to Reach Settlement Agreement.W/Certificate of Svc IA-95-211, Transcript of 920507 Interview of Mc Wilkins in Waynesboro, Ga.Pp 1-391996-05-0707 May 1996 Transcript of 920507 Interview of Mc Wilkins in Waynesboro, Ga.Pp 1-39 ML20129H7151996-05-0707 May 1996 Transcript of 920507 Interview of Mc Wilkins in Waynesboro, Ga.Pp 1-39 HL-5103, Comment Supporting NEI Comments on Petition for Rulemaking PRM-50-63 Re Planning Std for Protective Actions for General Public Includes Stockpile or Predistribution of Ki for Prophylactic Use1996-02-0606 February 1996 Comment Supporting NEI Comments on Petition for Rulemaking PRM-50-63 Re Planning Std for Protective Actions for General Public Includes Stockpile or Predistribution of Ki for Prophylactic Use ML20096A4911995-12-22022 December 1995 Georgia Power Co Reply to Intervenor & NRC Staff Proposed Findings of Facts & Conclusions of Law.* W/Certificate of Svc ML20095D9821995-12-12012 December 1995 Georgia Power Co Motion to Correct Record of Exhibits of Diesel Generator Reporting Issues Allegation Hearing.* W/Certificate of Svc ML20095D9771995-12-0808 December 1995 Comment on Proposed Generic Ltr Boraflex Degradation in Spent Fuel Pool Starage Racks. Request for Licensees to Demonstrate Subcriticality Margin in Unborated Water,Seems Inconsistent W/Stated Benefit of Borated Water ML20094S2751995-11-30030 November 1995 Intervenor Final Statement of Fact & Conclusions of Law.* Board Finds That Util & Applicant Failed to Meet Burden of Proof Re Ultimate Issue of Character,Competence & Integrity. W/Svc List ML20094S2411995-11-22022 November 1995 Georgia Power Co Response to Intervenors Motion for Continuance.* Intervenor Motion Unjustified & Prejudicial & Should Be Denied.W/Certificate of Svc & Svc List ML20094S2931995-11-21021 November 1995 Intervenor Motion for Continuance for Good Cause.* Requests Deadline for Filing Post Hearing Brief Be Extended Until 951130.W/Certificate of Svc & Svc List ML20094K1161995-11-0909 November 1995 Intervenor Motion to Admit Supplementary Exhibits.* Moves That Naslp Admit Encl Documents Into Evidence for Listed Reasons.W/Certificate of Svc & Svc List ML20094J9301995-11-0606 November 1995 Georgia Power Company Motion to Correct Record of Diesel Generator Reporting Issues Allegation Hearing.* Moves Licensing Board to Order That Corrections Be Made to Transcript.W/Certificate of Svc & Svc List ML20094J9281995-11-0606 November 1995 Gap Proposed Findings of Fact & Conclusions of Law on Diesel Generator Reporting Issues.* Findings of Fact & Conclusion Accepted.W/Certificate of Svc ML20094J9201995-11-0101 November 1995 Affidavit of Ck Mccoy to Correct Info Contained in Intervenor Exhibit II-97,which Consists of Portions of Deposition in a Mosbaugh Complaint Against Gap 1999-06-28
[Table view] Category:PLEADINGS
MONTHYEARML20133H1131996-11-25025 November 1996 Petition for Enforcement,Per 10CFR2.206,to Revoke Northeast Utils Operating Licenses for CT Nuclear Power Stations Due to Chronic,Systemic Mismanagement Resulting in Significant Violations of NRC Safety Regulations ML20116J8431996-08-0202 August 1996 Intervenor Response to Georgia Power Motion for Reconsideration.* Intervenor Supports Motion for Reconsideration.W/Certificate of Svc & Svc List ML20116A4931996-07-15015 July 1996 Georgia Power Company Motion for Reconsideration of 960628 Memorandum & Order Or,In Alternative,For Certification.* Gpc Requests That Board Not Require Submittal or Approval of Settlement Between Gpc & Mosbaugh.W/Certificate of Svc ML20114E6491996-06-20020 June 1996 Joint Motion to Defer Issuance of Initial Decision.* Requests That ASLB Defer Issuance of Decision in Proceeding Until 960920,in Order to Allow Gpc & Mosbaugh to Reach Settlement Agreement.W/Certificate of Svc ML20095D9821995-12-12012 December 1995 Georgia Power Co Motion to Correct Record of Exhibits of Diesel Generator Reporting Issues Allegation Hearing.* W/Certificate of Svc ML20094S2411995-11-22022 November 1995 Georgia Power Co Response to Intervenors Motion for Continuance.* Intervenor Motion Unjustified & Prejudicial & Should Be Denied.W/Certificate of Svc & Svc List ML20094S2931995-11-21021 November 1995 Intervenor Motion for Continuance for Good Cause.* Requests Deadline for Filing Post Hearing Brief Be Extended Until 951130.W/Certificate of Svc & Svc List ML20094K1161995-11-0909 November 1995 Intervenor Motion to Admit Supplementary Exhibits.* Moves That Naslp Admit Encl Documents Into Evidence for Listed Reasons.W/Certificate of Svc & Svc List ML20094J9301995-11-0606 November 1995 Georgia Power Company Motion to Correct Record of Diesel Generator Reporting Issues Allegation Hearing.* Moves Licensing Board to Order That Corrections Be Made to Transcript.W/Certificate of Svc & Svc List ML20093F9171995-10-13013 October 1995 Georgia Power Co Position on Effect of DOL Case 90 ERA-30.* Recommends Board Should Refrain from Considering or Giving Any Effect to Secretary of Labor Determination in 90 EAR-30. W/Certificate of Svc ML20093F9441995-10-13013 October 1995 Georgia Power Co Response to Intervenor Motion to Conduct Discovery Re Dew Point Instruments.* Recommends That Intervenor Motion to Conduct Discovery Re Dew Point Instruments Be Denied.W/Certificate of Svc ML20093F8681995-10-13013 October 1995 Intervenor Response to Board Memorandum & Order (Effect of DOL Case 90-ERA-30).* Bloomburg & Comanche Peak Precedents Demonstrate Applicability of Issue Preclusion to Matl Fact Containing to Hobby Decision.W/Certificate of Svc ML20093F9901995-10-12012 October 1995 Ga Power Company Response to Intervenor Motion to Admit Certain Admissions of Ga Power.* Intervenor Motion to Admit Certain Admissions of Ga Power,Dtd 951006,should Be Denied. W/Certificate of Svc & Svc List ML20093G1081995-10-12012 October 1995 Georgia Power Co Response to Intervenors Motion to Conduct Further Discovery Against NRC Staff.* Motion to Conduct Further Discovery Denied.W/Certificate of Svc ML20093F9751995-10-12012 October 1995 Ga Power Company Response to Intervenors Motion to Admit Exhibit II-247 (Transcript of Tape 99B).* Intervenor Motion to Admit Intervenor Exhibit II-247 Into Evidence Should Be Denied.W/Certificate of Svc & Svc List ML20093F9541995-10-12012 October 1995 Ga Power Company Response to Intervenor Motion to Strike Affidavit of H Handfinger.* W/Certificate of Svc ML20093B9301995-10-0606 October 1995 Intervenor Motion to Admit Certain Admissions of Georgia Power.* Intervenor Requests That Admission Responses & Corresponding OI Paragraphs Listed Be Admitted Into Record. W/Certificate of Svc ML20093B8901995-10-0606 October 1995 Intervenor Motion to Conduct Discovery Re Dew Point Instruments.* Intervenor Requests to Conduct Addl Discovery & to Obtain Further Relief.W/Certificate of Svc ML17311B3631995-10-0505 October 1995 Intervenor Motion to Admit Exhibit II-247 (Transcript of Tape 99B).* Intervenor Requests That Intervenor Exhibit II-247 Be Admitted Into Evidence.W/Certificate of Svc & Svc List ML20093B7101995-10-0505 October 1995 Intervenor Motion to Complete Discovery Against NRC Staff Expert Witness (Mgt Panel).* W/Certificate of Svc & Svc List ML20093B8291995-10-0505 October 1995 Intervenor Motion to Strike Affidavit of H Handfinger.* Affidavit of H Handfinger Should Be Stricken,In Entirety, from Record of Proceeding.W/Certificate of Svc & Svc List ML20098B7981995-10-0303 October 1995 Georgia Power Company Supplemental Response to Intervenor Addl Discovery Request Dtd 950905.* W/Certificate of Svc & Svc List ML20098B4671995-10-0202 October 1995 Intervenor Request for Continuance to File Response to Georgia Power Co Petition for Review.* W/Certificate of Svc ML20098B4691995-10-0202 October 1995 Intervenor Opposition to Georgia Power Company Petition for Review of Order to Produce Attorney Interview Notes.* W/Certificate of Svc & Svc List ML20092M6071995-09-26026 September 1995 Georgia Power Co Response to Intervenor Addl Discovery Request Dtd 950905.* Request Granted.W/Certificate of Svc ML20092H6571995-09-11011 September 1995 Georgia Power Company Opposition to Intervenor Motion to Strike Testimony of Hill & Ward & to Conduct Addl Discovery.* W/Certificate of Svc & Svc List ML20092H6771995-09-11011 September 1995 Ga Power Company Motion for Stay of Licensing Board Order Requiring Production of Attorney Notes of Privileged Communications.* W/Certificate of Svc & Svc List ML20092A4821995-09-0505 September 1995 Intervenor Motion to Strike Expert Testimony of Hill & Ward & to Conduct Addl Discovery.* Intervenor Requests That Hill & Ward Testimony Be Stricken & Gap File Expedited Responses to Requested Discovery.W/Certificate of Svc ML20091S3861995-08-22022 August 1995 Georgia Power Co Response to Intervenor Motion to Admit Certain Admissions & Sections of OI Rept Into Evidence.* Georgia Power Neither Admit Nor Deny Admissions.W/ Certificate of Svc & Svc List ML20087K2911995-08-15015 August 1995 Response to Licensee Motion for Reconsideration Re Notes of E Dixon Noted & Brief on Attorney Client Privilege.* Requests That Board Order Immediate Production of Interview Notes.W/Certificate of Svc & Svc List ML20087K2801995-08-14014 August 1995 Intervenor Response to Georgia Power Company Motion to Exclude Admission of OI Conclusions.* W/Certificate of Svc & Svc List ML20087K4731995-08-0808 August 1995 Gap Opposition to Intervenor Supplemental Motion to Compel Interview Notes & Other Documents Known to Gap Counsel When Preparing Response to Nov.* Informs That Motion Should Be Denied.W/Certificate of Svc & Svc List ML20087K4021995-08-0808 August 1995 Georgia Power Co Motion for Reconsideration of Order Re Request for Discovery Re E Dixon.* Believes That Board Should Deny Intervenor Motion.W/Certificate of Svc & Svc List ML20087K3501995-08-0404 August 1995 Licensee Position on Admissibility of Staff Exhibits II-5 & II-10.* W/Certificate of Svc & Svc List ML20087A6961995-07-28028 July 1995 Georgia Power Company Motion to Exclude Admission of OI Conclusions.* W/Certificate of Svc & Svc List ML20087A6871995-07-28028 July 1995 Ga Power Company Motion for Issuance of Subpoena.* W/Certificate of Svc & Svc List ML20087A5711995-07-24024 July 1995 Intervenors Supplemental Motion to Compel Interview Notes & Other Documents Known to Ga Power Company Counsel When Preparing Response to Nov.* Board Should Order Production of Notes of E Dixon.W/Certificate of Svc & Svc List ML20086P7801995-07-17017 July 1995 Georgia Power Co Response to Intervenor Motion to Compel Production of Licensee Notes of Interview of Ester Dixon.* Intervenor Motion Should Be Denied.W/Certificate of Svc ML20086P5961995-07-10010 July 1995 Intervenor Motion to Clarify Record.* Requests Board to Clarify Record to Reflect That on 950517,exhibits Identified in List of Stipulated Exhibits,Were Received Into Evidence. W/Certificate of Svc ML20086H2271995-06-30030 June 1995 Intervenor Motion to Compel Production of Licensee Notes of Interview of Ester Dixon.* W/Certificate of Svc & Svc List ML20085C8871995-05-29029 May 1995 Intervenor Response to Motion to Quash Subpoenas of C Coursey,M Hobbs & RP Mcdonald.* Motion to Quash Should Be Denied.W/Certificate of Svc & Svc List ML20084L2871995-05-24024 May 1995 Motion by Georgia Power Company Cl Coursey,Ml Hobbs & RP Mcdonald to Quash Subpoenas of C Coursey,Ml Hobbs & RR Mcdonald.* W/Certificate of Svc & Svc List ML20083R0291995-05-18018 May 1995 Georgia Power Company Brief on Inadmissibility of OI Rept or in Alternative Motion for Certification to Commission.* Advises That Exhibits Should Not Be Admitted Into Evidence in Proceeding.W/Certificate of Svc & Svc List ML20083C8421995-05-12012 May 1995 Intervenor Response to Util Motion for Order Preserving Licensing Board Jurisdiction.* Intervenor Requests That Commission Deny Util Motion for Order Preserving Licensing Board Jurisdiction.W/Certificate of Svc & Svc List ML20083C8461995-05-10010 May 1995 Georgia Power Co Response to Board Question Re 900410 IIT Questions.* Licensing Board Requests That Util Advise Board of Response to a Chaffee 900410 Request for Calcon Sensor Data.W/Certificate of Svc & Svc List ML20083C8241995-05-0909 May 1995 Georgia Power Co Response to Board Question Re Diesel Testing Transparency.* Util Believes That Cash Did Not Include Start 128-131 Since Starts Were Not Included on Typed List.W/Certificate of Svc & Svc List ML20083L7781995-05-0909 May 1995 Georgia Power Co Response to Board Question Re Definition of Successful Start.* W/Certificate of Svc ML20083L7251995-05-0707 May 1995 Intervenor'S Response to Gpc Motion to Strike Partially Intervenor'S Prefiled Testimony.* Requests That Gpc Motion to Strike Partially Intervenor'S Prefiled Testimony Be Overruled in Entirety.W/Certificate of Svc & Svc List ML20083K2971995-05-0202 May 1995 Intervenor Motion for Enlargement of Time.* Requests Enlargement of Time to Respond to Georgia Power Co Motion to Strike Partially Prefiled Testimony.W/Certificate of Svc & Svc List ML20082T3871995-04-27027 April 1995 Georgia Power Co Motion for Order Preserving Licensing Board Jurisdiction.* Requests That Commission Grant Relief Request.W/Certificate of Svc & Svc List 1996-08-02
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July II'[ 1993 I
UNITED STATES OF AMERICA '93 Ju_14 P 3 31 l NUCLEAR REGULATORY COMMISSION i ATOMIC SAFETY AND LICENSING BOARD
.e. h: ;
'h,' '
Before Administrative Judges: . . ..",;
Peter B. Bloch, Chair l Dr. James H. Carpenter i Thomas D. Murphy
)
In the Matter of )
) Docket Nos. 50-424-OLA-3 ,
GEORGIA POWER COMPANY ) 50-425-OLA-3 l et alz, ) )
) Re: License Amendment '
(Vogtle Electric Generating ) (transfer to Southern Nuclear)
Plant, Unit 1 and Unit 2) )
) ASLBP No. 93-671-01-OLA-3 INTERVENORS' MOTION TO COMPEL ANSWERS TO INTERROGATORIES AND DOCUMENT l REQUESTS BY THE STAFF OF THE l U.S. NUCLEAR REGULATORY COMMISSION !
l
Background
On July 2, 1993, the Nuclear Regulatory Commission Staff filed with the Atomic Safety and Licensing Board ("ASLB") a response to Intervenors June 24, 1993 Interrogatories and Request for Production of Documents (" Staff's Response"). Staff uniformly objects to responding to each and every interrogatory question and document request propounded by Intervenor. As such, Intervenor, pursuant to 10 C.F.R. 5 2.720(h) (2) (ii) and 10 C.F.R.
6 2.744, respectfully requests that the ASLB issue an order to compel the Staff to answer interrogatories and produce documents.
9307160183 930712 PDR ADOCK 05000424 G PDR q$
1 . .
1 i 1 Argument Staff appears to raise two main objections to Intervenor's
- interrogatory and document request. First, Staff objections based on the assertion that the request was not properly filed with the Board. The fact remains that Intervenor did comply with the filing requirement set out in 10 C.F.R. 5 2.720(h) (2) (ii) inasmuch as Intervenor served the interrogatory and document j
, requests on the ASLB.1 l
\
Second, Staff objects to the document requests on the basis i l
that the request did not set forth the relevance of the ,
l information sought to the proceeding.2 In response to this l i assertion, Intervenor sets forth general information as to why the document requests are relevant, and further sets forth a statement of relevance for each specific document request.3 4
1 Staff asserts that 10 C.F.R. 5 2.720(h) (2) (ii) mandates that Staff file answers to the interrogatories and document requests "only upon a finding by the presiding officer that the responses are necessary to a proper decision in the proceeding and that the information is not reasonable (sic) obtainable from other sources" (emphasis added). This is simply not the case.
~
Staff can wait for an order if they wish, but NRC regulations offer no indication that in order for the Staff to answer interrogatories they must be ordered to do so by the presiding officer.
2 Intervenor is very much troubled by Staff's demand that a statement of relevance be made for each document request. In this respect Staff appears to be biased towards the licensee inasmuch as Staff never required Georgia Power Company ("GPC") to i'
make any such statements of relevance before Staff responded to document requests filed by GPC.
3 The NRC Staff has not displayed a willingness to cooperate with intervenor during discovery proceedings. When compared to the Staff's response to GPC's request to production of documents, one can see a stark difference in willingness to cooperate with discovery. Note that in the Staff's first 2
i Document Reauests l
The following is a list of general explanations of relevance J
for Intervenors document requests. Each documents request will 4
be followed by reference to " Statement A," " Statement B" or both.
Statement "A" is as follows:
A. The request is intended to elicit factual information reasonably related to whether GPC has submitted
- material false statements in LER 90-06 and the COA.
Such documents requests are calculated to reveal inconsistent or contradictory statements or facts !
asserted by GPC officials.
4 Statement "B" is as follows:
l 1 B. The request is related to the factual basis of the admitted contention that GPC lacks the requisite character and competence to receive a license from the i
. board.
Below Intervenor lists the document request and the ;
j, l appropriate statements of Relevance related thereto.
Document Request No. 1: Statement A.
Document Request No. 2: Statement A. I Document Request No. 3: Statement A.
Document Request No. 4: Statement A.
]
Document Request No. 5: Statements A and B.
Document Request No. 6: Statement B.
Document Request No. 7: Statement B.
response to GPC's Document production request, Staff stated: "If any questions arose regarding whether a document was relevant to those issues, it was resolved in favor of identifying the document," while further offering to work closely with GPC to discuss any concerns they may have; offering to supplement their responses and to make counsel available for clarification.
3 J
J
l 1
l Document Request No. 8: Statements A and B.
7 Document Request No. 9: Statement B. ,
l i
- Document Request No. 10
- Statement B (as related to opening I of dilution valves). l
! I
\ l 4 Document Request No. 11: Statement B. j
! I I
Document Request No. 12: Statement B (as related to Safeguards violations).
f' Document Request No. 13: Statement B (as related to illegal license transfer).
l Document Request No. 14: Statement B.
1 Document Request No. 15: Statement B.
Document Request No. 16: Statement B.
i The information sought in the document requests, such as a data used, assumptions made, and analyses performed by the NRC during their past and present investigations, are necessary to a ,
4 I' j proper decision in this proceeding; are reasonably calculated to 4
lead to discoverable evidence; and are not attainable elsewhere.
)
In fact, much of this type of information is only known to Staff.
- Moreover, Staff does not attempt to comply with 10 C.F.R. 5 2.790 4
inasmuch as Staff does not identify any documents or sources of I
information whatsoever; and the assertion that a document request lacks relevance is not followed by a discussion of how or why the j interrogatory or information sought is not relevant.'
As stated above, the Staff objects to answering document requests for "failing to conform to 10 C.F.R. 5 2,744(a). Intervenor once again states that no such demand was made of GPC and wonders why this rule is only now being invoked.
Regardless, even cursory review of the document requests reveals their relevance to the admitted contentions.
4 4
4
,r ---wr -
e
1 Finally, with respect to Staff's objection to request No. 5, Staff has construed this request too broadly. Intervenor intended to and does limit this request to those interview statements taken from officials of SONOPCO, Alabama Power Corporation, and Georgia Power Company and/or any interview relating to any incident occurring at Plant Vogtle.
Interrocatories l
With respect to Interrogatories 1-18, Intervenor has the right to know the basis for any NRC Staff technical assessments of issues related to the admitted contention and facts related to Staff's knowledge of facts related to LER-90-006 and/or the COA.
For example, interrogatories concerning the Diesel Generators are specifically intended to elicit factual information reasonably related to whether GPC submitted material false statements in LER 90-006, LER 90-006 Rev 1 and the COA. Any and all information relating to GPC's actions concerning the diesel generators and what they reported to the NRC is directly relevant to this l
licensing proceeding. The Staff's claim of lack of relevance can i only be an attempt to evade submitting a response on such a critical subject.
For interrogatory numbers 18 through 51, the Staff asserts that these interrogatories are "a thinly disguised disagreement with Partial Director's Decision." Whether or not Intervenor
, agrees or disagrees with the Partial Director's Decision, or f whether the interrogatories seeks information related to the Partial Director's Decision, does not justify Staff's refusal to 5
1
_ . _ . . , _ . _ _ _ - ~_ . . _ . __.
I answer. Intervenor may inquire with the NRC Staff about how they reached their conclusions discussed in the Partial Decision,
~
especially when the findings made in that decision run counter to the facts surrounding the particular issues involved. These interrogatories are intended to elicit facts related to the Diesel Generators, FAVA,.the Miscalculation of the Shutdown i l
Margin, Safeguards, and other information related-to the management of Plant Vogtle. All information sought is directly related to this proceeding to the extent that it is reasonably calculated to lead to' discoverable evidence indicating a deficiency of character and competence in GPC management personnel and structure. The fact remains that the interrogatory questions related, by and large, to the basis of the Partial Director's Decision issued by Staff in response to Intervenor's-previously filed 2.206 Petition. Inasmuch as Staff. issued the Partial Director's Decision, Staff can answer these interrogatory questions.
Additional support for the appropriateness of individual 1
interrogatory questions is set out below.
With respect to Interrogatory No. 1, it is inconceivable that false statements made in the coa are not factually related l to the admitted contention. Moreover, a finding that there are l
false statements in the COA is relevant as to whether SONOPCO has the requisite character and competence to obtain a license.
With respect to Interrogatory Nos. 2-6, NRC Staff's Response does not appear to have been made in good faith. Little sense 6
l
1 l
l I
can be discerned from the responses submitted. Intervenor is
[
merely seeking to learn the extent to which NRC officials had'any l knowledge or involvement with respect to the-inaccurate l
information contained in the COA or LER 90-006. Knowledge of i
these contacts and facts are relevant to the admitted contention of material false statements, and are necessary to a proper decision in the proceeding. That these documents contain inaccurate information is not contended by GPC. Thus, an objection based of "OI involvement" is entirely without' merit.
With respect to Interrogatory No. 7, Staff's assertion-that this interrogatory is hypothetical is unfounded. The interrogatory merely asks the staff to make a determination based on their knowledge of the regulations listed.
Interrogatory No. 8, contrary to Staff's assertion, is concisely worded, Jeeks specific information that only the Staff I has knowledge, and is directly related to determining GPC's knowledge material false statements.
With respect to Interrogatory No. 9, Staff contends that a mysterious premise is contained in this Interrogatory without identifying that premise, and refused to answer based on the fact it is related to the subject of an OI investigation. That this interrogatory relates to an ongoing OI investigation is not contested. The fact remains that it directly relates to this ongoing ASLB proceeding. NRC Staff's understanding-about the meaning of the words used in the COA and LER are facts that may make up part of the basis of NRC-OI's investigative report, but 7
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a j these facts are independent and are known to Staff and not OI.
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- Indeed, what Staff has told OI is not as relevant as to what Staff plans to state to this Board. A factual statement from NRC l 1
4 Staff about its interpretation of the LER when it was originally l received is discoverable and is directly relevant to whether
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false statements were made by GPC.
i With respect to Interrogatory No. 10, Staff's claim that it is misleading is insupportable. The truck that backed into the
! transformer is the reason why GPC had to rely upon the Diesel l Generator. The Site Area Emergency did not commence until after I
the Diesel Generator tripped and could not be restarted. No l diesel trip, no Site Area Emergency.
I Interrogatory No. 11 is reasonably calculated to lead to discoverable evidence in that the response could reveal l l
inconsistencies in GPC's version of how the Diesel Generators were repaired and how the tests were reported to the NRC.
!. Interrogatory No. 12 is reasonably calculated to obtain 1
information concerning how many consecutive starts of the Vogtle
, Diesel Generators would relieve the Staff's concerns about their operational reliability. The question is clear, unambiguous, and above all, answerable.
The Staff's refusal to answer Interrogatory No. 13 assumes the "given fact" is hypothetical. Nonetheless, interrogatory 13 follows the same line of inquiry of number 12 in terms of just how many starts of the Vogtle Diesel Generator, under these circumstances, is necessary for a finding of reliability.
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d i conclusion For the foregoing reasons, Intervenor respectfully requests the Board to compel NRC Staff to answer all Interrogatories and
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- produce all requested documents. i i
Respectfully submitted,
) d' i
i Michael D. Kohn Kohn, Kohn, and Colapinto a
517 Florida Avenue, N.W.
Washington, D.C. 20001-1850
, (202) 234-4663 l
- i j Attorney for Intervenor Dated
- July 12 1993 On Brief:
Michael Lopez i
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UNITED STATES OF AMERICA ,(]p g NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARD Before Administrative Judges:
'03 Jll 14 P4 :04 Peter B. Bloch, Chair Dr. James H. Carpenter Lo
' 'F' Thomas D. Murphy ,( 4 ,
)
In the Matter of )
) Docket Nos. 50-424-OLA-3 GEORGIA POWER COMPANY ) 50-425-OLA-3 et alz, )
) Re: License Amendment (Vogtle Electric Generating ) (transfer to Southern Nuclear)
Plant, Unit 1 and Unit 2) )
) ASLBP No. 93-671-01-OLA-3 CERTIFICATE OF SERVICE I hereby certify that on July 12, 1993 Intervenor's Motion to Compel Answers to Interrogatories and Document Requests by NRC Staff was served by first class mail upon the following:
Administrative Judge Peter B. Bloch, Chair Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Administrative Judge Dr. James H. Carpenter Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Administrative Judge Thomas D. Murphy Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Charles A. Barth, Esq.
Office of General Counsel U.S. Nuclear Regulatory Commission Washington, D.C. 20555
[ continued on next page]
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John Lamberski, Esq.
l Troutman Sanders Suite 5200 600 Peachtree Street, N.E.
Atlanta, GA 30308-2216 l
',
- Office of the Secretary (* Original and two copies) l Attn: Docketing and Service j* U.S. Nuclear Regulatory Commission Washington, D.C. 20555 4
, Office of Commission Appellate i Adjudication U.S. Nuclear Regulatory Commission j Washington, D.C. 20555 i
i Ernest L. Blake, Jr.
l David R. Lewis SHAW, PITTMAN, POTTS &
i TROWBRIDGE
} 2300 N Street, N.W.
1 Washington, D.C. 20037 By:
Michael D. Kohn Kohn, Kohn & Colapinto, P.C.
1 517 Florida Ave., N.W.
! Washington, D.C. 20001 (202) 234-4663 054\ cert.gpc 1
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