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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20140A9961986-01-22022 January 1986 Responds to Eighth Set of Interrogatories Propounded by W Eddleman Re Communication Deficiency in Harnett County,Nc. Ti Hawkins Affidavit Encl.Related Correspondence ML20138R0961985-12-22022 December 1985 Responses to Applicant 851125 Emergency Planning Interrogatories & Request for Production of Documents (Third Set).Related Correspondence ML20138R1141985-12-20020 December 1985 Response to Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20138R1061985-12-20020 December 1985 Response to General Interrogatories.Related Correspondence ML20137L9851985-11-26026 November 1985 Interrogatories to NRC & FEMA on Studies,Info & Knowledge Re Contentions on Which Discovery Now Open ML20137M0031985-11-26026 November 1985 Interrogatories to Applicant & State of Nc.Certificate of Svc Encl ML20137H6291985-11-25025 November 1985 Third Set of Interrogatories Re Emergency Planning & Request for Production of Certain Documents.Certificate of Svc Encl. Related Correspondence ML20138D2761985-10-18018 October 1985 Supplementary Response to General Interrogatories 2-3 & 12-14 Re Eddleman Contention 57-C-3 Concerning Nighttime Emergency Siren Sys at Facility.Certificate of Svc Encl. Related Correspondence ML20128P8311985-05-29029 May 1985 Correction of Answer to Applicant Discovery Requests Re Interrogatories on Contention WB-3 Concerning Drug Abuse. Certificate of Svc Encl.Related Correspondence ML20128P8001985-05-29029 May 1985 Response to NRC Interrogatories Re Contention WB-3 Concerning Drug Abuse.Related Correspondence ML20128G7151985-05-24024 May 1985 Answers to Discovery Requests Re Contention WB-3 on Drug Abuse.Applicants Have Not Reinspected safety-related Work of Known Drug Abusers ML20127M8941985-05-20020 May 1985 Answers to Conservation Council Discovery Requests Re Contention WB-3, Drug Abuse During Const. Util Employee Assistance Program Provides Aid in Drug Rehabilitation. W/Certificate of Svc.Related Correspondence ML20116L1731985-05-0101 May 1985 Interrogatories & Request for Production of Documents Re Allegations in Contention WB-3,per ASLB 850315 Memorandum & Order Ruling on Contentions Re Diesel Generators,Drug Use & Harassment.Certificate of Svc Encl.Related Correspondence ML20102C3621985-03-0101 March 1985 Responses to Interrogatories & Request for Production of Documents on Contention 41-G.C Van Vo Considered to Be Well Qualified in Experience & Educ for Job.Related Correspondence ML20107D0491985-02-19019 February 1985 Response to W Eddleman 12th Set of General Interrogatories to Applicant Re Contention 41-G.Related Correspondence ML20107D0591985-02-19019 February 1985 Response to W Eddleman Request for Production of Documents Re Contention 41-G.Certificate of Svc Encl.Related Correspondence ML20106D0951985-02-0808 February 1985 Applicant Request That W Eddleman Answer Interrogatories & Produce & Permit Insp of Documents Re Contention 41-G Concerning C Van Vo Allegations.Certificate of Svc Encl. Related Correspondence ML20102A2061985-02-0404 February 1985 General Interrogatories & Request for Production of Documents Re Employment of Cv Vo.Related Correspondence ML20102A0791985-02-0404 February 1985 Seventh Set of Interrogatories & Request for Production of Documents Re Eddleman Contentions.Related Correspondence ML20101E9021984-12-21021 December 1984 Response to W Eddleman Second Round Interrogatories on 213-A to Applicant/Emergency Response Personnel & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20100G5971984-12-0303 December 1984 Second Round Interrogatories on 213-A to Applicants/ Emergency Response Personnel & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20100A5001984-11-30030 November 1984 Response to 841005 Discovery on Contention EPJ-3 (Volunteer Workers).Certificate of Svc Encl.Related Correspondence ML20099K4271984-11-26026 November 1984 Applicant Supplemental Responses to W Eddleman General Interrogatories to Applicant 11th Set.Certificate of Svc Encl.Related Correspondence ML20099D3771984-11-0909 November 1984 Response to Applicant 841005 Emergency Planning Interrogatories & Request for Production of Documents to Sponsors of EPJ-1,EPJ-4 & EPJ-5.Certificate of Svc Encl. Related Correspondence ML20107G1011984-10-31031 October 1984 Final Response to Conservation Council of North Carolina First Set of Interrogatories & Request for Production of Documents on Emergency Planning Contentions.Related Correspondence ML20107F3851984-10-31031 October 1984 Response to Conservation Council of North Carolina Interrogatories & Request for Production of Documents Re First Set of Emergency Planning Contentions.Certificate of Svc Encl.Related Correspondence 1999-09-08
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217E0881999-10-18018 October 1999 Order (Granting Discovery Extension Request).* Board of Commission of Orange County 991013 Motion for Extension of 991031 Discovery Deadline,Granted,In That Parties Shall Have Up to 991104.With Certificate of Svc.Served on 991018 ML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20216E2041999-07-29029 July 1999 Memorandum & Order (Granting Request to Invoke 10CFR Part 2, Subpart K Procedures & Establishing Schedule).* Board Grants Carolina Power & Light Co 990721 Request to Proceed Under Subpart K.With Certificate of Svc.Served on 990730 ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20209D1791999-07-12012 July 1999 Memorandum & Order (Ruling on Standing & Contentions).* Grants Petitioner 990212 Hearing Request Re Intervention Petition Challenging CP&L 981223 Request for Increase in Sf Storage Capacity.With Certificate of Svc.Served on 990712 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20196A8751999-06-22022 June 1999 Order (Corrections to 990513 Prehearing Conference Transcript).* Proposed Corrections to Transcript of Board 990513 Initial Prehearing Conference Submitted by Petitioner & Application.With Certificate of Svc.Served on 990622 ML20207D6991999-05-27027 May 1999 Orange County Proposed Corrections to Transcript of 990113 Prehearing Conference.* Orange County Submits Proposed Corrections to Transcript of Prehearing Conference of 990513.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20206R8731999-05-20020 May 1999 Memorandum & Order (Transcript Corrections & Proposed Restatement of Contention 3).* Any Participant Wishing to Propose Corrections to Transcript of 990513,should Do So on or Before 990527.With Certificate of Svc.Served on 990520 ML20206R2411999-05-13013 May 1999 Transcript of 990513 Prehearing Conference in Chapel Hill,Nc Re Carolina Power & Light Co.Pp 1-176.Supporting Documentation Encl ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20206G4051999-05-0505 May 1999 Applicant Answer to Petitioner Board of Commissioners of Orange County Contentions.* Requests That Technical Contentions in Section III & Environ Contentions in Section IV Not Be Admitted.With Certificate of Svc ML20206F9491999-05-0505 May 1999 NRC Staff Response to Orange County Supplemental Petition to Intervene.* None of Petitioner Proposed Contentions Meet Commission Requirements for Admissible Contention.Petitioner 990212 Request Should Be Denied.With Certificate of Svc ML20206A0851999-04-22022 April 1999 Erratum to Orange County Supplemental Petition to Intervene.* Citation to Vermont Yankee LBP-87-17,should Be Amended to Read Vermont Yankee Nuclear Power Co (Vermont Yankee Nuclear Power Station).With Certificate of Svc ML20205Q8121999-04-21021 April 1999 Order (Granting Motion to Relocate Prehearing Conference).* Initial Prehearing Conference Will Be Held in District Court of Orange County Courtroom,Chapel Hill,Nc on 990513 as Requested.With Certificate of Svc.Served on 990421 ML20196K8771999-04-0505 April 1999 Orange County Supplemental Petition to Intervene.* Informs That Orange County Contentions Should Be Admitted for Litigation in Proceeding ML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20205E3101999-04-0101 April 1999 Memorandum & Order (Protective Order).* Grants 990326 Motion of Petitioner for Approval of Proposed Protective Order to Govern Use & Dissemination of Proprietary or Other Protected Matls.With Certificate of Svc.Served on 990203 ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc 1999-09-08
[Table view] |
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REI.ATED CORRESPONDENr.t DOCKETED UNITED STATES OF AMERICA USNRC NUCLEAR REGULATORY COMMISSION ,
BEFORE THE ATOMIC SAFETY AND LICENSING AEl9 Al0:27 CFFt:E OF SECFI':
In the Matter of ) COCMET:hG & SEN ' .
SRANCH l
)
l CAROLINA P'OWER & LIGHT COhiPANY )
AND NORTH CAROLIN-A EASTERN ) Docket Nos. 50-400 OL MUNICIPAL POWER AGENCY ) 50-401 OL
) *
(Shearon Harris Nuclear Power Plant, )
Units 1 & 2) ) f APPLICANTS' ANSWERS TO WELLS EDDLEMAN'S -
INITIAL INTERROGATORIES RELATING TO EDDLEMAN CONTENTION 15- AA .
Applicants Carolina Power & Light Company and North Carolina Eastern Municipal Power A'gency, pursuant to 10 C.F.R. S2.740b, hereby submit the following responses to Wells Eddleman's Initial Interrogatories Relating to Eddleman Contention 15-AA. Mr.
Eddleman initially submitted interrogatories relating to Contention 15 on January 15, 1983. Because he subsequently sought to revise the original Contention 15, the Board permitted Applicants to defer answering the interrogatories pending a determination on the admission of a revised contention. Tr. 584-85 _ (Feb. 24, 1983 Prehearing
- Conference).- Af ter Contention 15-AA was admitted by a Board order dated August 18, 1983, Applicants reached an agreenient with Mr. Eddleman as to which interrogatories from the original set would be answered as the first round of discovery on this contention. In addition, Applicants have revised the wording of some interrogatories to' L reflect their understanding of' the parties' agreement as to the scope of those interrogatories. The provision of answers to these interrogatories is not to be deemed a representation that Applicants consider the information sought to be relevant to the
__ issues to be heard in this proceeding.
- ANSWERS T.O INTERROGATORIES i ' INTERROGATORY NO.1. Please state succinctly how CP&L and its principal witness, Wilson Morgan, derived a projected 80% capacity factor for all Shearon Harris -
as st Nuclear tne matter ol Units'a certiited in N. C.and teate of convenience Utilitiesnecessity Commission to construct theDocket No. E-2 sub 2 Harris Plant.
-8309200267 930916' PDR ADOCK 05000400
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j ANSWER: The projected 80% capacity factor was based on nuclear industry projections in' the late 1960's. The industry projections were apparently based on the '
minimal regulation experienced at that time and anticipated high unit availabilities. It is recollected that industry projections reflected the anticipation of relatively short refueling outages (probably on the order of 6 to 8 weeks per year) and relatively low forced outages rates, typical of the fossil-fired units with which the utility industry had operating experience at that time.
r INTERROGATORY NO. 2. Please state any other information known to CP&L which significantly contributed to this 80% capacity figure.
ANSWER: Other than the information provided in response to Interrogatory 1 above, no other information regarding the basis for the 80% capacity factor is recollected.
INTERROGATORY NO. 3. P; ease list all documents that Mr. Morgan or other persons who assisted him in preparation of his testimony can recollect from which the above information and the 80% capacity factor were derived, indicating for each how the
.information was used in arriving at the 80% capacity factor.
ANSWER: Information on nuclear industry projections and historical data reflecting utility operating experience were considered in arriving at the projected 80% capacity factor; however, no specific documents or publications are recollected.
INTERROGATORY NO. 4. Please list all experts, consultants, or other persons who '
Mr. Morgan or his assistants can recollect who were consulted by Mr. Morgan or CP&L in arriving at the 80% capacity factor. For each, please indicate whether the person is employed by CP&L, and tite current or last address of said person if known to CP&L.
ANSWER: CP&L arrived at the projected 80% capacity fact'or as described in the Company's response to Interrogatory 1 above. Ebasco Services reviewe,d and concurred with the assumptions.
INTERROGATORY NO. 5. Please explain briefly how and in what terms Mr. Morgan
- supported the 80% capacity factor upon cross-examination in N. C. Docket No. E-2 sub 203. Identify the transcript of his testimony if available.
ANSWER: Applicants do not have a transcript of the Harris certificate of publie .
- convenience and necessity hearing under NCUC Docket No. E-2, Sub 203. The order from that proceeding reflects only one statement regarding capacity factor, which was made under cross-examination by Mr. Morgan, that the Harris Plant will achieve the
80% plant capacity factor used in the nuclear-fossil economic studies even though the highest predicted plant capacity factor for CP&L in 1972 is 70%". As stated in the Company's response to Interrogatory 1 above, the 80% capacity factor was based on industry projections for nuclear combined with operating experience with existing fossil units.
INTERROGATORY NO. 6. Please incicate whether CP&L intends to call Mr.
Morgan as a witness in this NRC operating license proceeding, 50-400, etc., O. L.
ANSWER: Applicants have not determined at th6 time what witnesses will appear in the. Harris operating licensing proceeding.
INTERROGATORY NO. 7. Please state succinctly all significant bases used by
- CP&L or its witnesses in N.C.U.C. Docket No. E-100 sub 40 (1981 load forecast) to arrive at the 70% capacity factor for Shearon Harris Units used by them therein.
ANSWER: The 70% capacity factor orojection reflected in the 1981 load forecast proceeding before the NCUC was generally consistent with and based on the nuclear indus'.ry experience for units similar to the Ilarris units, during the 1970's. Specifically, CP&L relied upon its experience with its other Westinghouse PWR reactor, Robinson Unit No.2.
INTERROGATORY NO. 8. Please list all documents that are readily available (without an extensive file search) used in arriving at said 70% capacity factor; indicating for each howlt was used and what weight,if any, was given to the information contained therein, citing the page(s) where such information is contained.
l ANSWER: The 70% capacity factor projection had been determined in the late l 1970's and was the figure that the Company was using at the time of the 1981 load forecast hearing. In arriving at the 70% projection, various inforn$ation regarding industry experience and projections as well as the Company's experience with its Robinson Unit 2 were used. However, no specific documents that may have been used as a basis in arriving at the 70% capacity factor are recollected.
INTERROGATORY NO. 9. Please list s!1 experts, consultants and/or CP&L employees consulted by CP&L or its esployees in arriving at said 70% capacity factor figure used in Docket No. E-100 sub 40, and the current or last known address of each such person if known to CP&L.
e
ANSWER: CP&L did not rely on any outside experts or consultants in arriving at the 70% capacity' factor projection. However, CP&L did consult with its nuclear operations '
staff in reviewing the Company's experience with its Robinson Unit 2. Although it is not recollected which particular members of the staff were consulted, the head of the Generation Department which included nuclear operations at that time was Mr. B. J.
Furr, whose present business address is 411 Fayetteville Street, Raleigh, North Carolina 27602.
- r INTERROGATORY NO.10. Please indicate wh'et'her CP&L expects to call Bobby L.
Montague as a witness in this NRC licensing proceeding.
ANSWER: Applicants have not determined at this time what witnesses will appear in the Harris operating licensing proceeding.
INTERROGATORY NO.11. For all CP&L nuclear units, please state the unit's capacity factors (listed by unit), forced outage rate (by unit), partial forced outage rate (by unit), availability factors and planned maintenance and/or refueling operations in terms of days or hours outage in each year for the years 1983-96, as reflected in the inputs to the PROMOD computer program prepared for witness C Wayne King in N.C.U.C. Docket No. E-100 sub 41 (December 1982 hearing).
ANSWER: The table included as Attachment A provides the capacity factors, f planned maintenance, and equivalent forced outage rates for all CP&L nuclear units as i reflected in the PROMOD computer model used by Mr. King in the proceeding under NCUC Docket No. E-100, Sub 41. For this study, availability factors approximately equal capacity factors.
N i
_- = . -
i 1.
e e
Thz istlovlig d ta is la racpons2 to Ixtarrog!t:ry No,11. ATTACIIHFNT A -
BRUNSWICK #1 BRUNSWICK #2 ROBINSON #2 IIARRIS #1 - HARRIS #2 Capacity Planned gg) Capacity Planned Capacity Planned Planned Factor Maint. EFOR Maint.
g g) Capacity gg) Capacity Flanned gg)
Factor EFOR Factor Maint. EFOR Factor Maint. EFOR Factor Hafnt. EFOR .
Y;r r (Z) (Weeks) (%) (1) (Weeka) (Z) (!) (Weeks) (Z)
(!) (!) (Weeks) (1) (Weeks) (!)
II83 65 9 20 74 0 24 50(2) g g,
- 1984 68 7 20 50 8' 24 39 17 19 .
30 I3I 1985 66 8 20 63 8 24 48' 21 19 5'3 0 27 I3I 1986 66 8- 20 62 8 24 69 8 19 58 8 .
1987 66 ( 8 20 8 24 69
,, 61 8 19 51 8 24(N 1988 66 8 20 62 8 24 69 8 19 63 8 22 r 30 W 1989 65 8 20 62 8 24 69 8 19 63 8 22 64 o 1990 65 8 20 60 8 24 69 8 64 19 8 22 59 8 27 III 24 I3I 1991 65 8 20 60 8 24 ' 69 8 64 19 8 22 62 8 1992 65 8 20 61 8 24 69 8 19 64 8 22 63 8 22 e
1993 65 8 20 61 8 24 69 8 19 65 8 22 6% 8 22 1995 65 8 20 61 8 24 69 8 19 65 8 22 65 8 22 y 1595 65 8 20 61 8 24 69 8 19 65 8 22 65 8 22 1996 65 8 'O 62 8 24 69 8 19 65 8 22 65 8 22 T
NOTE:
- The tbove data is f rom the l'AOMOD model run used by CP&I. in the proceeding under NClic Docket E-10, sub 41.
Full and partial forced octag*s are included in an equivalent forced outage rate (EFOR).
(I For study purposes, Robinson 2 was derated to 475.HW due to steam generator limitations. The capacity facter is based on the MDC rating of 665 NW.
- These are approximate EFORs adjusted to reflect a break-in or maturing period for the llarris units.
4 1
e INTERROGATORY NO.13. Please identify all documents that are readily available which were used in preparing the information requested in interrogatory 11 above, indicating for' each what page(s) were used, how the data was used, what weight was given to it, and whether the document is in the possession of CP&L.
ANSWER: The information supplied in Interrogatory 11 reflects the planning assumptions which were used in early 1982 for the referenced study. These planning assumptions were based primarily on data reflecting CP&L's and general industry experience, available at that time. These planning assumptions are periodically revised to reflect changing system conditions and the availability of more current data. Other than historical Company records reflecting such data, no particular documents were used as a basis for the planning assumptions.
INTERROGATORY NO.14. Please identify all. consultants, experts or CP&L employees who were consulted in preparing the information used to calculate or compute the information presented by witness King in Docket No. E-100 sub 41, listing for each a current or last known address and stating whether each is currently employed by CP&L.
ANSWER: CP&L used no consultants or outside experts to prepare the information presented by the Company's witness, Mr. King, before the NCUC in the proceeding under Docket No. E-100, Sub 41 to determine avoided cost rates for cogeneration and small power. production. Various departments or units within the Company contributed to this informakion. The heads of the_ departments or units who were consulted by Mr. King are as follows:
Mr. B. L. Montague Vice President of Planning & Coordination Mr. N. L. Edge Vice President of Rates & Service Practices Mr. G. F. Dowd Director of Financial ' Forecasting &
Evaluation Mr. W. V. Coley, Jr. Manager cf Engineering & Construction Support Services The business address for each of these CP&L personnel is 411 Fayetteville Street, Raleigh, North Carolina 27602.
INTERROGATORY NO.15. Pleas'e state whether CP&L intends to call Mr. King as a witness in this NRC O.L. proceeding.
l
] ,
ANSWER: Applicants have not determined at this time what witnesses will appear in tb Harris operating licensing proceeding.
INTERROGATORY NO. 20. Please state what, if any, warranty, guarantee or promise CP&L has provided to NCEMPA as to the capacity factor (s) of Harris nuclear units or other CP&L power plants NCEMPA purchased an interest in.
ANSWER: CP&L has provided no warranty, guarantee, or promise to the North Carolina Eastern Municipal Power Agency (NCEMPA) regarding capacity factors of any of its units. .
INTERROGATORY, NO. 25. For the Harris Units 1 and 2, please state how CP&L arrived at each of the following items of " production planning information" filed with the North, Carolina Utilities Commission by CP&L on 6-30-82 under FERC Order No. 48, PU.RPA Section 133: Item 22, Net Generation-GWH; Item 21, Hours Connected to Load; Items 16 and 17, Planned Maintenance, Days / Year and Equivalent Forced Outage Rate Percentage; Item 6, Estimated Unit Life.
ANSWER: The information requested is contained in Subsection 290.302(b) of the Company's June 30,1982 filing with the Federal Energy Regulatory Commission (FERC) in response to PURPA Section 133. Item 21, Hours Connected to Load, and item 22, Net Generation, were obtained from output of the Company's production cost simulation model (PROMOD). A description of PROMOD is given in the Company's PURPA 133
. filing under Subsection 290.302(d).
At the time (6/30/82) that the data in the PURPA 133 document were provided, Item 16, Planned Maintenance, of the Harris units was based on the Company's experience and projections at Robinson Unit 2, a similar type nuclear unit.
Item --17, Equivalent Forced Outage Rate (EFOR), as supplied was an immature EFOR, because, as required by PURPA, it represents the first full calendar year of operation of each unit. New units generally mature within a few years after the
' commercial ope.ation date. The projected immature EFOR of Harris Units 1 & 2 as
~
provided, was based on EFOR data for nuclear units from the North American Electric Reliability Council (NERC) for the period 1971-1980.
Item 6, Estimated Unit Life, 'was based on the average nuinber of years of estimated service life of currently operating nuclear units. These values have been s ~ , , 4,----w - ,--v,-- ., -.- m ~ p- e . .-m p <,--- ., -g-- - - - - -
g approved for use by the Company in the North Carolina, South Carolina, and Federal regulatory jur'isdictions for rate making purposes.
INTERROGATORY NO. 28. Please state (if known to CP&L) the lifetime capacity factor in commercial operation for each Westinghouse PWR in the world which has Westinghouse Model D steam generators. Please list plants with D-4 steam generators (eA Krsko Yugoslavia) separately and state " unknown" if CP&L does not possess the information.
ANSWER: Lifetime capacity factors for U.S. licensed operating reactors can be obtained from U.S. Nuclear Regulatory Commission, Licensed Operating Reactors:
r Status Summary Report (NUREG-0020) (published monthly). CP&L does not have or maintain information on lifetime capacity factors of non-U.S. reactors, although information to determine lifetime capacity factors might be available through research of nuclear industry publications such as Nucleonics Week. To Applicants' knowledge, the only operating Westinghouse PWR with D-4 steam generators is Krsko in Yugoslavia.
According to data reported .i Nucleonics Week Vol. 24 No. 34 (August 25,1983) at 14, the 1983 capacity factor for Krsko through July is 77.2%
INTERROGATORY NO. 29. Are the data for assumed capacity factor, forced outage rate, planned days or hours of outages for maintenance and planned days or hours of outages for repairs used to derive or compute the fuel cost savings in the 5 sensitivity cases in ER Amendment 5 the same as the data identified in answer to interrogatory no.
11? If not, explain the differences in the data.
ANSWER: The table included as Attachment B provides capacity factors, planned maintenance, and equivalent forced outage rates for all CP&L nuclear units as reflected in the Company's study for Harris ER Amendment 5. The differences in data can be determined by comparing this table with the table provided in response'to Interrogatory l
11.
The differences in the data reflect the dynamic nature of the Company's planning assumptions, which are revised to reflect changing system conditions and additional experience. In the ER Amendment 5 study, it should be noted that a sensitivity analysis was performed on the Harris units' cap'acity factors over a range of such capacity factors
- j. from 50% to 70%, as noted in Attachment B.
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+ ,
The fallowing data 1312 expense t3 htcrrogitiry No. 29. ATTACIffFNT B BRUNSWICK #1 BRUNSVICK #2 RO')INSON #2 HARRIS #1' HARRIS #2 Capacity Planned Capacity . Planned Capacity Planned Factor Maint.
gg)
Factor Maint.
g g) Capacity . Planned gg) Capacity Planned gg)
EFOR EFOR Factor Maint. EFOR Factor Maint. EFOR Factor Maint. EFOR TT r (%) (Weeks) (!) (!) (Weeks) (!) (!) (Weeks) (%) (!) (Weeks) (%) (1) (Weene) (%)
~
1983 '68 7 20 74 0 24 45(2) 12 19 1984 68 7 -20 50 17 24 39(2) 37 39 1985 66 8 20 62 8 24 48 29 I3I 21 19 58 0
, 1986 65 8 20 61 ~8 24 69 8 19 69 8 16 .
I?87 65 8 20 61 8 24 69 8 19 70 8 16 1988 65 8 20 62 8 24 69 8 19 70 8 16 29 I3)
Ive; 65 8 . 20 61 8 24 69 8 19 70, 8 16 66 0 1990 64 8 20 60 8 24 69 8 19 70 8 16 69 8 16 1991 65 8 20 60 8 24 69 8 19 70 8 16 70 8 16 1992 64 8 20 60 8 24 69 8 19 70 8 16 70 8 16 e
1993- 65 8 20 61 8 24 69 8 19 70 8 16 70 8 16 1994 65 8 20 61 8 24 69 8 19 70 8 16 70 8 16 NOTE:
Tha above data is f rom the base case PROMOD model run for the Harris ER Amendment 5. The nuclear capacity factors do not very significantly in the sensitivity cases except for the two sensitivity cases where the Harrin units capacity factornNere modeled at approximately 50 cad 60 percent. In these two cases, the weeks of maintenance remained the same and the equivalent forced outage raten were approximately 36 and 26 percent, resFectively, for both Harris Units 1 and 2.
(I} Full and forced outages are included in an equivalent forced outage rate (EFOR).
For study purposen, Robinson 2 was derated to 475 MW due to steam generator limitations. The capacity factor is based on
- the MDC rating of 665 MW.
(
This is an approximate EFOR adjusted to reflect a break-in or maturing period for the Ilarris units.
e r -
INTERROGATORY NO. 37. Please identify all witnesses (not identified previously)
CP&L intends to call or is considering calling in this NRC proceeding with respect to Eddleman Contention 15-AA.
ANSWER': CP&L has not determined at this time what witnesses will appear in the '
Harris operating licensing proceeding, with respect to Eddleman Contention 15-AA.
INTERROGATORY NO. 38. Please state whether CP&L has ever considere'd Harris capacity factors lower than 50%.
ANSWER: CP&L has not considered that the Harris units would normally operate at capacity factors lower than 50%.
INTERROGATORY NO. 39. Please describe or state succinctly all significant reasons why CP&L's estimate of Harris capacity factor declined from 80% originally (as testified to by Wilson Morgan) to 70% as stated by CP&L in Docket No. E-100 sub 40.
For each such reason, state whether its effect is continuing or has ended to fj?&L's knowledge.
ANSWER: Two principal factors which contributed to the decrease in capacity factor projections for the Harris Plant are 1) industry experience with units similar to the Harris units, including CP&L's experience with Robinson Unit 2; and 2) acknowledgment of the impacts of increased regulatory requirements. Applicants do not foresee significant decreases in capacity factor projections below current industry experience due to these factors in the future.
Dated: September 16,1983 l
l l Submitted by:
- b. &
Dale E. Hollar, Esquire Carolina Power & Light Company Post Office Box 1551 i
Raleigh, North Carolina 27602 l
(919) 836-8161 Attorneys for Applicants:
I Thomas A. Baxter, Esquire Richard E. Jones, Esquire I
- John H. O'Neill, Jr., Esquire ,
Samantha Francis Flynn, Esquire Shaw, Pittman, Potts & Trowbridge Carolina Power & Light Company l
l 1800 M Street, N. W. Post Office Box 1551
! Washington, D.C. 20036 Raleigh, North Carolina 27602 l (202) 822-1000 (919) 836-6517
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DOCKETED UNITED STATES OF AMERICA USNRC NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOAIES SEP 19 A10 :27 0FflCEOFShRtit.,
in the Matter of~ ) GCCMETihG & SE?vig
) 3 RANCH CAROLINA POWER & LIGHT COMPANY )
AND NORTH CAROLINA EASTERN MUNICIPAL )
POWER AGENCY )
) Docket Nos. 50-400 OL i (Shearon Harris Nuclear Power Plant, ) 50-401 OL Units 1 & 2) ) f AFFIDAVIT OF B. M. WILLIAMS County of Wake )
)
State of North Carolina )
B. M. Williams, being duly sworn according to law, deposes and says that he is Director of Staff Services - Planning and Coordination Department of Carolina Power &
Light Company; that .the answers to Interrogatories on Eddleman Contention 15-AA contained in " Applicants' Answers to Wells Eddleman's initial Interrogatories Relating to Eddleman Contention 15-AA*' are true and correct to the best of his information, knowledge and belief; and that the sources of his imformation are officers, employees, agents and contractors of Carolina Power & Light Company, j
~' / ft,b t. -
r' . '" . I - ' .* . B. M. Williams E e'.*
(
, . c: ' .1 c 1 . , . =
t l . Sworn to'and subscribed before i me this 16th day of September 1983.
. :' !! 1 1. \ ui ' _.
s v) y
. Notary Public My commission expires: 7/6/ 9 Y *
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