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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARJPN-99-029, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors1999-09-20020 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors ML20212E4181999-09-15015 September 1999 Petition Per 10CFR2.206 Requesting OL for Unit 2 Be Modified or Suspended to Prevent Restart Until Reasonable Assurance That Licensee in Substantial Compliance with Terms of OL & Has Proper Consideration for Public Health & Safety JPN-99-022, Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds1999-06-22022 June 1999 Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds ML20202J6321999-01-20020 January 1999 Transcript of 990120 Meeting in Peekskill,Ny Re Decommissioning.Pp 1-132.With Related Documentation ML20198E9721998-12-21021 December 1998 Order Prohibiting Involvement in NRC-Licensed Activities. Orders That Wh Clark Prohibited for 1 Yr from Engaging in NRC-Licensed Activities JPN-98-052, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects ML20198L2731998-12-21021 December 1998 Comment Supporting NEI Re Proposed Rules 10CFR50, 52 & 72 Re Changes,Tests & Experiments JPN-98-050, Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal ML20155F4561998-08-26026 August 1998 Demand for Info Re False Info Allegedly Provided by Wh Clark to Two NRC Licensees.Nrc Considering Whether Individual Should Be Prohibited from Working in NRC-licensed Activities for Period of 5 Yrs ML20238F5271998-05-20020 May 1998 Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-46 IA-98-261, Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-461998-05-20020 May 1998 Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-46 ML20238F5241998-05-0606 May 1998 Transcript of 980506 Enforcement Conference Held in King of Prussia,Pa Re Con Edison,Indian Point.Pp 1-75 JPN-97-037, Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated1997-12-0101 December 1997 Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated ML20148M6471997-06-19019 June 1997 Comment Opposing Porposed NRC Bulletin 96-001,suppl 1, CR Insertion Problems ML20133N0511997-01-0505 January 1997 Comment Opposing Proposed Rule 10CFR50, Draft Policy Statement on Resturcturing & Economic Deregulation of Electric Util Industry ML20149M4621996-12-0909 December 1996 Comment Opposing Proposed Rule 10CFR50 Re Draft Policy Statement on Restructuring & Economic Deregulation of Electric Utility Industry ML20077G3481994-12-0808 December 1994 Comment on Proposed Rule 10CFR2,51 & 54 Re Nuclear Power License Renewal ML20070P0561994-04-19019 April 1994 Comment Supporting Proposed Rule 10CFR50 Re NRC Draft Policy Statement on Use of Decommissioning Trust Funds Before Decommissioning Plan Approval ML20029C5771994-03-11011 March 1994 Comment on Proposed Rule 10CFR20 Re Draft Rule on Decommissioning.Informs That 15 Mrem/Yr Unreasonably Low Fraction of Icrp,Ncrp & Regulatory Public Dose Limit of 100 Mrem/Yr ML20059C3031993-12-28028 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Definition of Commercial Grade Item ML20045H8751993-07-19019 July 1993 Comment on Proposed Rule 10CFR55 Re Exam Procedures for Operator Licensing.Supports Rule ML20045F2451993-06-28028 June 1993 Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Opposes Proposed Criteria ML20044F5681993-05-20020 May 1993 Comment on Draft Commercial Grade Dedication Insp Procedure 38703,entitled Commercial Grade Procurement Insp. Endorses NUMARC Comments Dtd 930517 JPN-02-034, Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl1992-07-0606 July 1992 Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl JPN-91-021, Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants1991-05-13013 May 1991 Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants JPN-91-005, Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended1991-01-28028 January 1991 Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended ML20066G4411991-01-23023 January 1991 Comments on Proposed Rule 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Substantive Typo in 901015 Filing on Behalf of Licensee Noted ML20058G6341990-10-30030 October 1990 Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty Program JPN-90-068, Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS1990-10-22022 October 1990 Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS JPN-90-067, Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC1990-10-15015 October 1990 Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC ML20065H7541990-10-15015 October 1990 Comment Re Proposed Rules 10CFR2,50 & 54 on Nuclear Power Plant License Renewal.Commission Assessment of Four Alternatives Should Be Expanded to Include Not Only Safety Considerations But Other Atomic Energy Act Objectives JPN-90-052, Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR1990-07-0909 July 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR JPN-90-050, Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary1990-07-0202 July 1990 Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary ML20012C6491990-03-0909 March 1990 Comment on Proposed Rule 10CFR50, Fracture Toughness Requirements for Protection Against PTS Events. Any Utilization of NRC Proposed Application of Reg Guide 1.99, Rev 2,would Be Inappropriate W/O re-evaluation by NRC ML20005F6521989-12-13013 December 1989 Comment on Proposed Draft Reg Guide DG-1001, Maint Programs for Nuclear Power Plants. Util Concurs w/industry-wide Position Presented by NUMARC & Offers Addl Comments ML20246P6061989-07-0707 July 1989 Comment Opposing Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components. Significant & Independent Industry Efforts Already Underway to Address Issue ML20245K1941989-06-16016 June 1989 Comment on Proposed Rules 10CFR50,72 & 170 Re Storage of Spent Nuclear Fuel in NRC-Approved Storage Casks at Nuclear Power Reactor Sites JPN-89-008, Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants1989-02-27027 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants ML20235V9011989-02-24024 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants. Supports NUMARC Position.Proposed Rule Will Hinder Important Initiatives to Improve Maint JPN-88-063, Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments1988-11-18018 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments ML20205L8521988-10-21021 October 1988 Comment Opposing Proposed Rule 10CFR20 Re Cleaning or Disposing of Nuclear Waste.Incineration of Radwaste Oil Should Not Be Allowed JPN-88-015, Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site1988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site JPN-88-002, Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed1988-01-25025 January 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed JPN-87-062, Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex1987-12-31031 December 1987 Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex JPN-87-053, Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection1987-10-15015 October 1987 Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection JPN-87-051, Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl1987-09-28028 September 1987 Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl ML20235Y9911987-07-20020 July 1987 Notice of Issuance of Director'S Decision Under 10CFR2.206 Re Emergency Planning for School Children in Vicinity of Indian Point.* Request to Suspend OLs Denied ML20151C5061987-02-18018 February 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning ML20093H6421984-10-15015 October 1984 Comments on Staff Presentation at Commission 841002 Meeting. Commission Should Conclude Proceedings Due to Inescapable Conclusion That Facility Safe to Operate & Poses No Undue Risk to Public.Certificate of Svc Encl ML20098D2721984-09-26026 September 1984 Comments on Commission 840905 Meeting Re Facilities,Per Sj Chilk 840911 Memo.Licensee Agrees W/Staff That Further Mitigative Features or Plant Shutdown Unnecessary Due to Low Risk.Certificate of Svc Encl 1999-09-20
[Table view] Category:OTHER LEGAL DOCUMENT
MONTHYEARML20155F4561998-08-26026 August 1998 Demand for Info Re False Info Allegedly Provided by Wh Clark to Two NRC Licensees.Nrc Considering Whether Individual Should Be Prohibited from Working in NRC-licensed Activities for Period of 5 Yrs ML20235Y9911987-07-20020 July 1987 Notice of Issuance of Director'S Decision Under 10CFR2.206 Re Emergency Planning for School Children in Vicinity of Indian Point.* Request to Suspend OLs Denied ML20093H6421984-10-15015 October 1984 Comments on Staff Presentation at Commission 841002 Meeting. Commission Should Conclude Proceedings Due to Inescapable Conclusion That Facility Safe to Operate & Poses No Undue Risk to Public.Certificate of Svc Encl ML20098D2721984-09-26026 September 1984 Comments on Commission 840905 Meeting Re Facilities,Per Sj Chilk 840911 Memo.Licensee Agrees W/Staff That Further Mitigative Features or Plant Shutdown Unnecessary Due to Low Risk.Certificate of Svc Encl ML20098E6531984-09-25025 September 1984 Comments on Staff 840905 Briefing Re Pra.Ucs Requests Decision on Proceeding.Certificate of Svc Encl ML20094P5421984-08-13013 August 1984 Comments on Dissenting Views of Chairman Gleason Re Safety of Plant Mods.Certificate of Svc Encl ML20091P6521984-06-0909 June 1984 Suppl to Joint 840406 Petition for Immediate Suspension of Operation ML20087P8641984-04-0101 April 1984 Addl Attachment to 840204 Comments on ASLB Recommendations to Commission.Testimony on Encl Attachment G Reveals Emergency Planning Transportation Woefully Lacking & Grossly Inadequate ML20080D5401984-02-0606 February 1984 Comments on ASLB 831024 Recommendations to Commission Re Emergency Planning,Plant Risk & Comparative Risk.Continued Operation Recommended.Certificate of Svc Encl ML20080B7871984-02-0606 February 1984 Comments on ASLB Recommendations Re Facilities.Commission Urged to Focus on Fact That Serious Release Would Be Catastrophe of Far Greater Dimensions than Event at Any Other Sites.Certificate of Svc Encl ML20080C5581984-02-0606 February 1984 Addition to Parents Concerned About Indian Point 840202 Comments on ASLB Recommendations ML20086L3351984-02-0404 February 1984 Comments on ASLB Recommendations to Commission.Aslb Improperly Placed Burden of Persuasion on Plant Opponents, Failed to Conduct Thorough Investigation & Failed to Conform Conclusions W/Findings of Fact ML20086L0591984-02-0202 February 1984 Comments on ASLB Recommendations for Evacuating School Children ML20080B4071984-02-0202 February 1984 Comments Responding to ASLB 831024 Recommendations to Commission Re Safety Issues.Commissioners Invited to Attend Next Emergency Response Drill ML20080C5421984-02-0202 February 1984 Comments on Recommendations of ASLB Re Continued Operation of Facility While Problems Util Should Correct Remain Unresolved or Inconclusive.Aslb Urged to Admit go-home Plan Leaves Major Problems W/Protection of School Children ML20080H1761984-01-30030 January 1984 Response to ASLB 831024 Recommendation to Commission ML20072D6981983-06-20020 June 1983 Response to Pj Amico to ASLB & Analysis of PRA Testimony.Areas in Which Addl Testimony Recommended Do Not Present Issues Materially Affecting Record & Are Too Costly.W/Certificate of Svc ML20024A0831983-06-10010 June 1983 Response to ASLB Consultant,Pj Amico,830502 Ltr Re Issues on Accident Probability Requiring Addl Testimony.New York City Audubon Soc/Friends of the Earth Comments Endorsed. Certificate of Svc Encl ML20071Q9081983-06-0808 June 1983 Recommendations for Emergency Planning Process.Plans Should Originate at Local Govt Level & Should Be Supported & Enforced at State & Federal Govt Levels ML20071Q9191983-06-0808 June 1983 Statement on Role of Federal,State & Local Govts & Utils in Planning,Testing & Executing Emergency Response Procedures ML20072A0711983-06-0808 June 1983 Statement Before House of Representatives Subcommittee on Energy Conservation & Power Re Emergency Planning.Public Must Be Involved in Planning & Testing Process ML20071H3631983-05-23023 May 1983 Submission Addressing Commission 830505 Order on Possible Facility Closing.Requests Oral Presentation on 830526 Re Economic Inpact of Facility Shutdown.Economic Impact Is Not Compelling Reason for Continued Operation ML20071H2031983-05-23023 May 1983 Submission Re Commission 830505 Order CLI-83-11.Emergency Planning Must Be Well Developed & Detailed W/Special Emphasis on Health & Safety of Children ML20071H1981983-05-23023 May 1983 Comments on Commission Order CLI-83-11 Establishing Procedures for Decision on Enforcement Action.Emergency Planning Deficiencies Fundamental.Adequate Interim Compensating Measures Impossible.Certificate of Svc Encl ML20071H4861983-05-21021 May 1983 Submission Re Commission 830505 Order on Intention to Shut Down Facility on 830609 If Emergency Preparedness Problems Not Resolved.Adequate Protective Action in Case of Radiological Emergency Cannot Be Guaranteed by 830609 ML20071H1541983-05-20020 May 1983 Views Re Radiological Emergency Planning in Response to Commission 830505 Order.Fema & NRC Should Rule That Plants No Longer Have Significant Deficiencies Based on Improvement & Interim Compensating Actions ML20071H1601983-05-20020 May 1983 Opinion on NRC 830505 Order Re FEMA Rept on Licensee Emergency Planning & Preparedness & Possible Suspension of Plant Operations.Immediate Shutdown Urged ML20071H0181983-05-20020 May 1983 Response to Commission 830505 Order Establishing Procedures for Decision on Enforcement Action.Emergency Planning Deficiencies Not Significant.Nrc Enforcement Action Unwarranted & Improper.W/Certificate of Svc ML20071H1761983-05-16016 May 1983 Citizens Advisory Committee Progress Repts Re Nuclear Evacuation & General Disaster Preparedness Plan ML20069K6221983-04-21021 April 1983 Notice of 830425 Deposition in New City,Ny Re 830309 Emergency Planning Exercise.Certificate of Svc Encl.Related Correspondence ML20069K6131983-04-21021 April 1983 Notice of K Toscani,K Felt & L Culpepper 830422 Depositions in Croton-on-Hudson,NY Re 830309 Emergency Planning Exercise.Related Correspondence ML20073M8971983-04-15015 April 1983 Notice of 830421 Deposition of FEMA Witnesses P Mcintire,J Keller & R Koweiski by Licensees in New York,Ny.Certificate of Svc Encl.Related Correspondence ML20073H4621983-04-12012 April 1983 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20072J9821983-03-22022 March 1983 Notice of DA Schlissel 830413 Deposition in New York,Ny Re Testimony Under Commission Question 6.Related Correspondence ML20072J9921983-03-22022 March 1983 Notice of Deposition of V Taylor & All Other Witnesses Testifying on Behalf of Ucs/Pirg of Ny & Greater Ny Counsil on Energy on Commission Question 6,in New York,Ny.Related Correspondence ML20072K0001983-03-22022 March 1983 Notice of Deposition of Witnesses Testifying on Behalf of NRC on Commission Question 6.Certificate of Svc Encl.Related Correspondence ML20072J9711983-03-22022 March 1983 Notice of B Commoner & R Schrader 830324 Deposition in New York,Ny Re Testimony Under Commission Question 6.Related Correspondence ML20072J9621983-03-22022 March 1983 Notice of 830330 Deposition of R Rosen & Other Witnesses Testifying on Behalf of Greater Ny Counsil on Energy on Commission Question 6,in New York,Ny.Related Correspondence ML20072K0111983-03-22022 March 1983 Notice of Deposition of All Persons Testifying for Parents Concerned About Indian Point on Commission Question 6. Certificate of Svc Encl.Related Correspondence ML20072G4191983-03-21021 March 1983 Cross-examination Plan for Wk Commencing 830322.County Will cross-examine D Davidoff Representing Ny State & Parsons, Brinckerhoff,Quade & Douglas Representing Licensees. Affidavit of Svc Encl ML20069F5951983-03-18018 March 1983 Proposed Order of Testimony.Affidavit of Svc Encl.Related Correspondence ML20069C8221983-03-14014 March 1983 Forwards Intervenor Refined Witness List for Commission Questions 3 & 4 for Presentation on 830315-18 & 22.List Does Not Include Witnesses Subj to Stipulation by Licensees & NRC ML20071F0231983-03-11011 March 1983 Intervenors Joint List of Witnesses to Be Presented on 830315-18 & 22 Re Commission Questions 3 & 4 ML20071E4451983-03-0808 March 1983 Notice of Appearance in Proceeding ML20071D2781983-03-0303 March 1983 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20072B6791983-03-0101 March 1983 Notice of F Rowsome,R Blond & Other Unidentified Witnesses Deposition Re Testimony on Commission Question 5.Certificate of Svc Encl ML20072B6561983-03-0101 March 1983 Notice of Sholly & Other Unidentified Witnesses Deposition Re Testimony on Commission Question 5.Certificate of Svc Encl ML20072B7791983-02-28028 February 1983 Memorandum Re Scheduling of Testimony on Commission Questions 3 & 4 ML20071C4171983-02-25025 February 1983 Notice of Meshnick 830226 Desposition in New York,Ny Re Testimony on Commission Questions 3 & 4.Certificate of Svc Encl ML20071C4101983-02-25025 February 1983 Notice of D Gurin,J Friedman & R Mccarthy 830228 Deposition in New York,Ny Re Testimony on Commission Questions 3 & 4. Related Correspondence 1998-08-26
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l UNITED S"'ATES Ce A*iERICA NUCLEAR REGULATORY COW.ISSION BC' ORE THE CDriISSIONERS: ;;yg g Nunzio J. Palladino, Chairman 'f? ;;
Thomas M. Poberts Jams K. Asselstine Frederick M. Bernthal '84 F.G016 Fi2 k,.,.e Lando W. Zech, Jr.
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In the Matter of
). Ibcket Nos.
CONSOLIDATED EDISCN COMPANY OF 50-247-SP 137 YORK, INC. ) 50-286-SP (Indian Point, Unit Ib. 2)
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POWER AUTHORITY OF THE STATE OF 1E1 YORK ) August 13, 1984 (Indian Point, Unit Ib. 3)
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X CON EDISON'S CCMOTIS ON THE LICENSING BOARD CHAIRMAN'S DISSEI7f IN THE RIO0t9EJDATIONS OF ' DIE IlDIAN POINT SPEX'IAL PROCEEDING Consolidated Edison Coc-any of New York, Inc. (" Con Edison"), licensee of Indian Point Unit Ib. 2, subnits these coments pursuant to the Comission's Order of July 30, 1984. 'Ihat Order permitted the parties to the Indian Point Special Proceeding to subnit carments on the dissenting views of Chairman James P. Gleason as set forth at pages 433-35 of the Atomic Safety and Licensing Board's October 24, 1983 Recommendations to the Commission. Con Edison wishes to emphasize that Chairman Cleason's dissent, which is the only subject addressed in these commnts, does not indicate broad areas of disagreement I
anong the Board mmbers, the NRC Staff or the licensees. All of these parties '
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s appear to concur in the Board's unaniscus conclusion that the continued operation of the Indian noint units poces no undue risk to the public and dat the early fatality and delayed cancer risks posed by Indian Point are a very smll fraction of the ron-nuclear background risks to which the population around Indian Point is exposed. Licensees and Staff further concur with the Board's conclusion that such major nodifications to the plant as filtered vented contairrents and separate containments are not warranted.
The majority of the Board urged adoption of a severe accident standard for some sites nere stringent than that established by the NRC's existing body of regulations, to'which Chairman Gleason crocerly obiected.
In its orders of January 8 and September 18, 1981 the (bmission asked the Licensing Board to employ probabilistic risk assesscent (PRA) techniques to evaluate the risk of serious accidents at Indian Point. We do rot believe that the Ccmnission intended to imply any inadegaacies in the safety levels achieved by the licensees' compliance with all of the licensing requirements imposed by NRC on operating reactors generally. Instead, the Comission in essen said "take the Indian Point plants in their present state and location, and tell us
- using the only quantitative discipline we are aware of, PRA - what the risks of the plants are under the existing, in-place ' background' level of licensing regulation." The Ccrrr11ssion's orders went on to say that the Board could also develop a record on further safety measures not reouired by ,
existino NRC regulations if it appeared that they might be effective in reducirig risk.-
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.7 4
in Chairman Gleason differed with the other Board nembers as to the logical step processes the majority f511med in concluding that at least one such measure was appropriate and should be recommended to the Conmission for i
' imposition on this one site. As its rationale for proposing that the Indian
~ Point licensees be required to' implement a safety assurance program, the Board' majority suggested that certain unspecified "high consequence" accidents could occur at the Indian Point, Zion, Limerick and Salem sites (Recomendations at 105),'and without regard to the extremely low probability or likelihot.d that these accidents could occur, it was therefore preferable for the NBC to require a further safety measure at Indian Point that is not required anywhere else.
The majority in effect said " forget how unlikely it is that a serious accident could occur, and just focus on how bad the aansequences cauld be." As 01 airman
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l~ Gleason noted, this was just what the Board had been asked not to do by the i
V Comission's initial orders, as well as its supplemental orders.of July 27, 1982 and September 17, 1982. The Ccmission's consistent guidance throughout the proceeding had enphasized that consequences should only be considered in '
conjunction with their associated probabilities.
Chairman Gleason also appears to have faulted the majority's logic in f
at least two other respects, and in both instances Con Edison is in agreement with the Chairman. First, by definition risk consists of the product of multiplying two components: the probability of the event occurring, and the consequences should the event occur. If one's cpal is to assess risk, then an understanding of both elements is essential, and if either one is missing then ,
risk simply cannot be assessed. For purposes of safety planning, it matters '
i very much whether events of pctential sipificance occur once .in a decade or 3-t e -n -= , 3,.-- ,- --,-,-sm'r#.--ev.
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once in 100,000 years. Chaimin Gleason prcperly faulted the majority's proposal to mke mcmentous decisions about exceeding current NRC regulations on a site-by-site basis while purposely ignoring the likelihood that the accidents of concern might occur.
Secondly, the Board mjority made its recortaandation for furtMr efforts to reduce risk in the face of a record which the Board itself unaninously found to denenstrate an exceedingly 1cw level of risk for the plants as is. The NRC Staff testified tMt a rigorous examnation of safety levels showed that the contribution to risk of early accidental death posed by serious reactor accidents at Indian Point is roughly 2.5 parts rer nillion of the 'cackground risk averaged over a 50-mile radius of the plant, or 0.0000025 percent of the overall risk of accidental death in the vicinity of the site.
Reconraendations at 64. Staff also determined that the contribution of severe accidents at Indian Point to the incidence of delayed cancer fatalities within 50 miles of the units was roughly 11 parts per million, or 0.00001 percent of the overall background cancer fatality risk. Rdccmendations at 66. The Board unaninously concluded that "the average annual early fatality risk and delayed cancer fatality risk, as calculated by PRA, are very small fractions of the ccxnpeting background non-nuclear risks." Pecomendations at 108.
4 With the hearing record clearly establishing that the risk of Indian Point was this lw corpared to other risks, Olaiman Gleason could rot understand hcw multi-million dollar excursions bayond existing NRC safety requirements could possibly be justified. As he put it, "the reccmendation seens to suggest an absolute and not the adecuate protection called for by the Atcmic Energy Act. It also tends to igrore an extensive bcx3y of regulation A
4 that has been enacted for the safe operation of nuclear power facilities which prcduce such low probabilities of accidents." - Recorrendations at 433.
Con Edison wholeheartedly agrees. Wheth3r high consequence accidents can occur or not (see below), the fact remains that the nest s]phisticated quantitative ranking of the public health risks confronting persons in the vicinity of Indian Point der'onstrates that the plants do not contribute significantly. Great uncertainty in the PRA results can be conceded and this bottom line does not change. 'Ihis being the case, substantial additional i expenditures to drive the risk even lower simply cannot be justified.
':he record before the Board does rot l . support the presumption of the majority l
that high consecuence accidents might om,r.
The Board majority's initial premise in . reaching its ultirate conclusion to recomend imposition of an additional safety measure at Indian
- Point and three other sites was that " dangerous, low probability i
accidents . . . could, as Staff testirony has shown, result in fatalities that number in the hundreds or thousands." Reccrrendations at 107.
j Con Edison does not believe that the hearing record supports the majority's premise. Expert testirony offered try licensees at the hearings established that the anount of radioactive mterial wttich would be released in the event of a severe accident would be significantly less than had been supposed in earlier risk estimates such as the 1974 Reactor Safety Study (PSS) . These witnesses offerei testinony regarding data from Three Mile Island and a number of other actual accidents as well as prior research and experimental data which confirmed that physical and chemical processes would
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l reduce the amt of radionuclides that could te relear'd. The witnesses presented their own estimates of realistic source tems for the donunant accident secuences at Indian Point. Licensees' experts concluded, inter alia, that thsre would M no early fatalities from any accident scenarios at Indian Point, and that latent fatalities would be sucil that the consequences of even a
" worst cam" accident would be sinilar to other, large-scale industrial accident.s.
The Staff's witness testified that the NRC had no data or information which were inconsistent with licensees' testimonv on the release of radioactive materials. He also testified that the RSS methodology for saur tem calculation as used in Staff testirone leads to overestirates of risk.
On this uncontroverted record, wtiich as-a legal matter the Board was not entitled to ignore, con Edison subnits that there is simply no basis for concluding that " dangerous" accidents with fatalities "in the hundreds or thousands" might occur at Indian Point. Since the Board majority's decision to urge a further safety measure proceeds frcm such an unsupported asstr:tption, as proposed by Quuman Gleason it should be discarded by the Canission.
Chairman Glm en appropriately opposed a proposal to bias the NRC's safety emphasis towards accidents presumed to be of high consecuence.
After making unsupported assumptions as to radionuclide behavior, which led to the conclusion that high consegaence accidents might occur, the majority then made a leap of logic to conclude that nuclear plants located in nore densely populated areas in the norther :ern United States should be 'made safer than others. Even asstrning that the afety assurance program rE w..uerded l
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by the Board majority my be. successful in reducing Indian Point risk even lower (which is without supprt in the record), the net result would be that persons living in the vicinity of Indian Point would enjoy a " safer" plant than persons living near a plant in another area, where such a program was not required.
It was this dilema which was' of particular interest to former Ccmissioners Hendrie, Ahearne and Gilinsky in the Cartission's discussions throughout 1980 and 1981 on the proper focus for these hearings. Cbnmissioner Hendrie in particular questioned the wisdcm and the legality of a regulatory approach that would require reductions in the aggregate, societal risk around operating plants located in mare dansely populated areas, when the inevitable
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consequence of such a policy would be to make the risks to individuals living in the vicinity of various plants core unecual, liacause some safety measures would in required at a few sites but not others.
Whether the Ccmission's efforts to maintain nuclear plant safety frcm site to sice should be directed towards equating individual risks, on the one hand, or aggregate societal risks, on the other, is perhaps a major policy question. It certainly appeared so to nore than one Comissioner several years acp when this proceeding was being established, although it seems to have beccne more of a theoretical question as recent research on radionuclide behavicr and source terms has gained broader acceptance and virtually eliminated site-to-site variations in potential accident consequences.
Ibnetheless, the Board majority - without any discussion of the issue at all
- presumed that the cost appropriate safety direction for the Comission to take would be to attempt to 1cw_r aggregate societal risk at scrre sites. 2e i
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mjority's failure to acknowledge that such a policy would inevitably widen any differences between risks to individuals at various sites at the very least substantially weakens the proposal. Chairran Gleason appropriately cpposed it, stating that "the Board appears to be recarnending a new standard exclusively for Indian Point (and three other plants). . . .
Recomendations at 433-34.
The Chairran's dissent correctly observed that risk reducing reasures have already been implemented at Indian Point, which was imolicitiv disrecarded by the majoritv.
In his dissenting views, Chairman Gleason objected to the rajority's reliance on a statement in the 1980 Task Fcree Peport* attempting to compare plant and site risks separately at various plants. Chairman Gleason emphasized that "the Task Force Report was issued prior to the probabilistic risk assessments made to date on 14 or 15 nuclear power facilities, including Indian Point. ... It is nere than likely that the probability of a further reduction in risk discussed by the Task Force has already been accomplished."
Pecainendations at 434.
The. record before the Licensing Boar i clearly establishes that the accident risk posed by Indian Point has already been substantially reduced by voluntary licensee actions taken since the 1980 Task Force Report. Upon the canpletion of the Indian Point Probabilistic Safety Study (IPPSS) in 1982, licensees informed the Comnission and the Board that on their own initiative they were making certain plant nodifications at 1:oth units in order to take
- Peport of the Zion / Indian Point Task Ebrce, NUREG-0715 (August 1990).
s advantage of risk reduction masures identified in the course of the study.*
These neasures include structural nodifications to reduce seismic vulnerability at both units, ch.tnges in electrical connections to certain safety equitnent to reduce fire vulnerability at both units, and adoption of an anticipatory shutdown procedure to reduce hurricane vulnerability at Unit 2.
Uncontested testinony in the hearings established that taken together, these neasures substantially reduced the likelihood of a severe accident at Indian Point below the already lw level which had existed previously. In fact, the Board itself unan1rously concluded elsewhere in its Reconrendations that "at Indian Point significant safety improvenents have been mde as.a result of IPPSS and the Sandia review." PecTrendations at 40 n.19. Chairmn
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Gleason was therefore correct in rejecting the mjority's reliance upon statenents mde in 1980, prior to the ccrapletion of IPPSS and the nakiry of the plant nodifications which inproved safety. It is indeed established fact that at Indian Point, significant risk reduction "has already been accomplished," as stated by the Chairman.
Resrectfully sutrtitted, Dated: New York, New York Brent L. Brandenburg August 13, 1984 Assistant General Counsel CO'50LIDATED EDISCti CCUPANY OF MEN YORK, INC.
Licensee of Indian Point Unit 2 4 Irving Place New Yo" , New York 10003 (212 , 60-4600
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- See Recx:crendations at 46-47, and the F#cch 5,1982 letter from John D.
O"Ibole and J. Phillip Bayne to Harold R. Denton transmitting the IPPSS to the Commission.
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CERTIFICATE CF SERVICE I hereby certify that on the 13thdayofAugustGlf84,Icauseda copy of Con Edison's Cc2ments on the Licensing' Board Chair:ran's Dissent in the Reccxmendations Of The Indian Point Spidhalb kicensing Board to be served by first class mail, postagee geoaid,,on:.:
F,0cKU;fG & SEh_e.
Nunzio J..Palladino,' Chairman Docketing N$ervice Branch U.S. Nuclear Regulatory Ccmnission Office of the Secretary Washington, D.C. 20555 U.S. Nuclear Regulatory Ccmnissica Washington, D.C. 20555 Lando W. Zech, Jr, Camrissioner U.S. Nuclear Regulatory Ccmnission Joan Holt, Project Director Washington, D.C. 20555 Indian Point Project New York PuDlic Interest Research Th:2nas M. Rcberts, Ccmnissioner Group U.S. Nuclear Regulatory Ccmnission 9 Murray Street Washingten, D.C. 20555 New York, New York 10007 James K. Asselstine, Cc2=nissioner Jeffrey M. Blu:n, Esq.
U.S. Nuclear Regulatory Ccmnission New York University Law School Washington, D.C. 20555 423 Vanderbilt Hall 40 Washington Square South Frederick M. Bernthal, Ccanissioner New York, New York 10012 U.S. Nuclear Regulatory Ccr=nission Washington, D.C. 20555 Charles J. Maikish, Esq.
Litigation Division James P. Gleason, Chairman 'Ihe Port Authority of New York Administrative Judge and New Jersey Atcmic Safety and Licensing Board One World Trade Center 513 Gilmoure Drive New York, New York 10048 Silver Spring, Maryland 20901 Charles M. Pratt, Esq.
Mr. Frederick J. Shon Stephen L. Bau:n, Esq.
Administrative Judge Power Authority of the Atcznic Safety and Licensing Board State of New York U.S. Nuclear Regulatory 10 Colu:nbus Circle Ccmnission New York, New York 10019 Washington, D.C. 20555 Janice Moore, Esq.
Dr. Oscar H. Paris Counsel for NRC Staff Administrative Judge Office of the Executive Atcmic Safety and Licensing Board Legal Director U.'S. Nuclear Regulatory U.S. Nuclear Regulatory Cc=nission Ccr=nission Washingten, D.C. 20555 -
Washington, D.C. 20555 I
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, Paul F. Colarulli, Esq. Renee Schwart , Esq.
Joseph J. I. vin, Esq. Paul Chessin, Esq.
Susan Kaplan, Esq. Laurens R. Schwartz, Esq.
Morgan Associares, Chartered Margaret Cppel, Esq.
1899 L Street, N.W. Botein, Hays, Sk3ar and Hert::: erg Wash mgton, D.C. 20036 200 Park Avenue New York, New York 10166 Ellyn R. Weiss, Esq.
William S. Jordan, III, Esq. Honorable Ruth W. Messinger Har: ton and Weiss Member of the Ccuncil of the 1725 I Street, N.W., Suite 506 City of New York Washington, D.C. 20006 District #4 City Hall Charles A. Scheiner, Co-Chairperson New York, New York 10007 Westchester Pecple's Action Coalition, Inc.
Greater New York Council P.O. Box 488 on. Energy bhite Plains, New Yod 10602 c/o Dean R. Corren, Director New York University Alan Iat=an, Esq. 26 Stuyvesant Street 44 Sunset Drive New York, New Ycrk 10003 Croton-On-Hudson, New York 10520 Joan Miles Ezra I. Bialik, Esq. Indian Point Coordinator Steve Iaipzig, Esq. New York City Audubon Society Enviro: rental Protection Bureau 71 West 23rd Street, suite 1828 New York State Attorney New York, New York 10010 General's Office Tao World Trade Center Richard M. Hart:: man, Esq.
New York, New York 10047 Lorna Salzman Mid-Atlantic Representative Andres P. O'Rourke Friends of the Earth, Inc.
Nestchester County Executive 208 West 13th Street 148 Martine Avenue New York, New York 10011 hhite Plains, New York 10601 Stanley B. Klimberg, Esq.
Andrea S. Roffe, Esq. General Counsel New York State Assembly New York State Energy Office Albany, New York 12248 2 Rockefeller State Plaza Albany, New York 12223
, Marc L. Parris, Esq.
Eric Thorsen, Esq. Atonic Safety and Licensing County Attorney Board Panel County of Rockland U.S. Nuclear Regulatory Ccrt: mission 11 Nea Hempstead Road Washington, D.C. 20555 New City, New York 10956 Atcmic Safety and LicensirG Phyllis Rodriguez, Spokesperson Appeal Board Panel Parents Concerned About Indian U.S. Nuclear Regulatory Ca:: mission Point Washington, D.C. 20555 P.O. Box 125 Croton-on-Hudson, New York 10520
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. . Honorable Richard L. Brodsky David R. Lewis, Esq.
Member of the County Legislature Atcmic Safety and Licensin; Scard 5%stchester County Panel Ccunty Office Building U.S. Nuclear Regulatcry C=-.ission White Plains, New York 10601 Washington, D.C. 20555 Zipporah S. Fleisher Michael D. Diederich, Jr., Esq.
West Branch Conservation Attorney-At-Law Association 11 South Highland Avenue (R:ute 9W) 443 Buena Vista Road ,
Nyack, New York 10960 New City, New York .10956 Steven C. Sholly Mayor George V. Begany Unicn of Concerned Scientis:s Village of Buchanan 1346 Connecticut Avenue, N.W.
236 Tate Avenue Suite 1101 Buchanan, New York 10511 Washington, D.C. 20036 Judith Kessler, Coordinator Spence W. Perry Rockland Citi ens for Safe Energy Office of General Counsel 300 New He:nstead Road Federal Emergency Managemen Agency New City, New York 10956 500 C Street, S.W.
Washington, D.C. 20472 David H. Pikus, Esq.
- Richard F. Czaja, Esq. Stewart M. Glass Shea & Gould Regional Counsel 330 Madison Avenue Roan 1349 New York, New York 10017 Federal Dnergency Manage:nen: Agency 26 Federal Plaza Amanda Potterfiel'd, Esq. New York, New York 10278 '
New York Public Interest Research Group Melvin Goldberg 9 Murray Street, 3rd Floor ' Staff Attorney New York, New York 10007 New York Public Interest Research Group Mr. Dziald Davidoff 9 Murray Street Director, Radiological Emergency New York, New York 10007 Preparedness Group Empire State Plaza Jonathan L. Levine, Esq.
Tower Building, Rm.1750 P. O. Box 280 Albany, New York 12237 New City, New York 10958 Craig Kaplan, Esq.
Levinson, Mogulescu & Kaplan 9 East 40th Street New York, New York 10016
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' Brent L. Brandenstrg
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