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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217H9511999-10-21021 October 1999 Memorandum & Order.* Proceeding Re Nepco 990315 Application Seeking Commission Approval of Indirect License Transfers Consolidated,Petitioners Granted Standing & Two Issues Admitted.With Certificate of Svc.Served on 991021 ML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20211L5141999-09-0202 September 1999 Comment on Draft Reg Guide DG-4006, Demonstrating Compliance with Radiological Criteria for License Termination. Author Requests Info as to When Seabrook Station Will Be Shut Down ML20211J1451999-08-24024 August 1999 Comment Opposing NRC Consideration of Waiving Enforcement Action Against Plants That Operate Outside Terms of Licenses Due to Y2K Problems ML20210S5641999-08-13013 August 1999 Motion of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Strike Unauthorized Response of Nepco.* Unauthorized Response Fails to Comply with Commission Policy.With Certificate of Svc ML20210Q7531999-08-11011 August 1999 Order Approving Application Re Corporate Merger (Canal Electric Co). Canal Shall Provide Director of NRR Copy of Any Application,At Time Filed to Transfer Grants of Security Interests or Liens from Canal to Proposed Parent ML20210P6271999-08-10010 August 1999 Response of New England Power Company.* Nu Allegations Unsupported by Any Facts & No Genuine Issues of Matl Facts in Dispute.Commission Should Approve Application Without Hearing ML20210H8311999-08-0303 August 1999 Reply of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Response of New England Power Co to Requests for Hearing.* Petitioners Request Hearing on Stated Issues.With Certificate of Svc ML20210J8501999-08-0303 August 1999 Order Approving Transfer of License & Conforming Amend.North Atlantic Energy Service Corp Authorized to Act as Agent for Joint Owners of Seabrook Unit 1 ML20211J1551999-07-30030 July 1999 Comment Opposing That NRC Allow Seabrook NPP to Operate Outside of Technical Specifications Due to Possible Y2K Problems ML20210E3011999-07-27027 July 1999 Response of New England Power Co to Requests for Hearing. Intervenors Have Presented No Justification for Oral Hearing in This Proceeding.Commission Should Reject Intervenors Request for Oral Hearing & Approve Application ML20209H9101999-07-20020 July 1999 Motion of Connecticut Light & Power Co & North Atlantic Energy Corp for Leave to Intervene & Petition for Hearing.* with Certificate of Svc & Notice of Appearance ML20195H1911999-06-15015 June 1999 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests.Requests That Commission Consent to Two Indirect Transfers of Control & Direct Transfer ML20206A1611999-04-26026 April 1999 Memorandum & Order.* Informs That Montaup,Little Bay Power Corp & Nepco Settled Differences Re Transfer of Ownership of Seabrook Unit 1.Intervention Petition Withdrawn & Proceeding Terminated.With Certificate of Svc.Served on 990426 ML20205M7621999-04-15015 April 1999 Notice of Withdrawal of Intervention of New England Power Co.* New England Power Co Requests That Intervention in Proceeding Be Withdrawn & Hearing & Related Procedures Be Terminated.With Certificate of Svc CLI-99-06, Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 9904071999-04-0707 April 1999 Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 990407 ML20205G0921999-04-0505 April 1999 Joint Motion of All Active Participants for 10 Day Extension to Permit Continuation of Settlement Discussion.* Participants Request That Procedural Schedule Be Extended by 10 Days.With Certificate of Svc ML20205G3091999-03-31031 March 1999 Petition That Individuals Responsible for Discrimination Against Contract Electrician at Plant as Noted in OI Rept 1-98-005 Be Banned by NRC from Participation in Licensed Activities for at Least 5 Yrs ML20204E6401999-03-24024 March 1999 Protective Order.* Issues Protective Order to Govern Use of All Proprietary Data Contained in License Transfer Application or in Participants Written Submission & Oral Testimony.With Certificate of Svc.Served on 990324 ML20204G7671999-03-23023 March 1999 Comment Supporting Proposed Rule 10CFR50.54(a) Re Direct Final Rule,Changes to QA Programs ML20207K1941999-03-12012 March 1999 North Atlantic Energy Svc Corp Participation in Proceeding.* Naesco Wished to Remain on Svc List for All Filings.Option to Submit post-hearing Amicus Curiae Brief Will Be Retained by Naesco.With Certificate of Svc ML20207H4921999-02-12012 February 1999 Comment on Draft Contingency Plan for Year 2000 Issue in Nuclear Industry.Util Agrees to Approach Proposed by NEI ML20203F9471999-02-0909 February 1999 License Transfer Application Requesting NRC Consent to Indirect Transfer of Control of Interest in Operating License NPF-86 ML20199F7641999-01-21021 January 1999 Answer of Montaup Electric Co to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests Motion Be Denied on Basis of Late Filing.With Certificate of Svc ML20199H0451999-01-21021 January 1999 Answer of Little Bay Power Corp to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests That Ui Petition to Intervene & for Hearing Be Denied for Reasons Stated.With Certificate of Svc ML20199D2461999-01-19019 January 1999 Supplemental Affidavit of Js Robinson.* Affidavit of Js Robinson Providing Info Re Financial Results of Baycorp Holding Ltd & Baycorp Subsidiary,Great Bay Power Corp. with Certificate of Svc ML20199D2311999-01-19019 January 1999 Response of New England Power Co to Answers of Montaup Electric Co & Little Bay Power Corp.* Nep Requests That Nep Be Afforded Opportunity to File Appropriate Rule Challenge with Commission Pursuant to 10CFR2.1329 ML20206R1041999-01-13013 January 1999 Answer of Little Bay Power Corp to Motion of New England Power Co for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* with Certificate of Svc ML20206Q8451999-01-12012 January 1999 Written Comments of Massachusetts Municipal Wholesale Electric Co.* Requests That Commission Consider Potential Financial Risk to Other Joint Owners Associated with License Transfer.With Certificate of Svc.Served on 990114 ML20199A4741999-01-12012 January 1999 Answer of Montaup Electric Co to Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Nepco 990104 Motion Should Be Denied for Reasons Stated.With Certificate of Svc ML20206Q0151999-01-12012 January 1999 North Atlantic Energy Svc Corp Answer to Petition to Intervene of New England Power Co.* If Commission Deems It Appropriate to Explore Issues Further in Subpart M Hearing Context,Naesco Will Participate.With Certificate of Svc ML20199A4331999-01-11011 January 1999 Motion of United Illuminating Co for Leave to Intervene & Petition to Allow Intervention out-of-time.* Company Requests That Petition to Allow Intervention out-of-time Be Granted.With Certificate of Svc ML20198P7181998-12-31031 December 1998 Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Moves to Intervene in Transfer of Montaup Seabrook Ownership Interest & Petitions for Summary Relief or for Hearing ML20198P7551998-12-30030 December 1998 Affidavit of J Robinson.* Affidavit of J Robinson Describing Events to Date in New England Re Premature Retirement of Npps,Current Plans to Construct New Generation in Region & Impact on Seabrook Unit 1 Operation.With Certificate of Svc ML20195K4061998-11-24024 November 1998 Memorandum & Order.* North Atlantic Energy Services Corp Granted Motion to Withdraw Proposed Amends & Dismiss Related Adjudicatory Proceedings as Moot.Board Decision LBP-98-23 Vacated.With Certificate of Svc.Served on 981124 ML20155J1071998-11-0909 November 1998 NRC Staff Answer to North Atlantic Energy Svc Corp Motion for Leave to File Reply.* Staff Does Not Object to North Atlantic Energy Svc Corp Motion.With Certificate of Svc ML20155D0041998-10-30030 October 1998 Motion for Leave to File Reply.* Licensee Requests Leave to Reply to Petitioner 981026 Response to Licensee 981015 Motion to Terminate Proceedings.Reply Necessary to Assure That Commission Is Fully Aware of Licensee Position ML20155D0121998-10-30030 October 1998 Reply to Petitioner Response to Motion to Terminate Proceedings.* Licensee Views Segmentation Issue as Moot & Requests Termination of Subj Proceedings.With Certificate of Svc ML20155B1641998-10-26026 October 1998 Response to Motion by Naesco to Withdraw Applications & to Terminate Proceedings.* If Commission Undertakes to Promptly Proceed on Issue on Generic Basis,Sapl & Necnp Will Have No Objection to Naesco Motion.With Certificate of Svc ML20154K8751998-10-15015 October 1998 Motion to Withdraw Applications & to Terminate Proceedings.* NRC Does Not Intend to Oppose Motion.With Certificate of Svc ML17265A8071998-10-0606 October 1998 Comment on Integrated Review of Assessment Process for Commercial Npps.Util Endorses Comments Being Provided by NEI on Behalf of Nuclear Industry ML20154C8171998-10-0606 October 1998 Notice of Appointment of Adjudicatory Employee.* Notice Given That W Reckley Appointed as Commission Adjudicatory Employee to Advise Commission on Issues Related to Review of LBP-98-23.With Certificate of Svc.Served on 981006 CLI-98-18, Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 9810061998-10-0505 October 1998 Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 981006 ML20153H4471998-10-0101 October 1998 Joint Motion of Schedule Deferral.* Naesco,Sapl & Necnp Jointly Request Temporary Deferral of Briefing Schedule as Established by Commission Order of 980917 (CLI-98-18). with Certificate of Svc ML20154F9891998-09-29029 September 1998 License Transfer Application Requesting Consent for Transfer of Montaup Electric Co Interest in Operating License NPF-86 for Seabrook Station,Unit 1,to Little Bay Power Corp ML20154D7381998-09-21021 September 1998 Affidavit of FW Getman Requesting Exhibit 1 to License Transfer Application Be Withheld from Public Disclosure,Per 10CFR2.790 ML20153C7791998-09-18018 September 1998 Comment Supporting Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Util Endorses NRC Staff Focus on Operability & Funtionality of Equipment & NEI Comments ML20151Z5611998-09-18018 September 1998 Order.* Pursuant to Commission Order CLI-98-18 Re Seabrook Unit 1 Proceeding,Schedule Described in Board 980904 Memorandum & Order Hereby Revoked Pending Further Action. with Certificate of Svc.Served on 980918 ML20151Y0331998-09-17017 September 1998 Order.* All Parties,Including Util,May File Brief No Later than 981007.Brief Shall Not Exceed 30 Pages.Commission May Schedule Oral Argument to Discuss Issues,After Receiving Responses.With Certificate of Svc.Served on 980917 ML20153E8771998-09-16016 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents. Recommends That NRC Reverse Decision to Revise Emergency Planning Regulation as Listed 1999-09-02
[Table view] Category:PLEADINGS
MONTHYEARML20210S5641999-08-13013 August 1999 Motion of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Strike Unauthorized Response of Nepco.* Unauthorized Response Fails to Comply with Commission Policy.With Certificate of Svc ML20210P6271999-08-10010 August 1999 Response of New England Power Company.* Nu Allegations Unsupported by Any Facts & No Genuine Issues of Matl Facts in Dispute.Commission Should Approve Application Without Hearing ML20210H8311999-08-0303 August 1999 Reply of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Response of New England Power Co to Requests for Hearing.* Petitioners Request Hearing on Stated Issues.With Certificate of Svc ML20210E3011999-07-27027 July 1999 Response of New England Power Co to Requests for Hearing. Intervenors Have Presented No Justification for Oral Hearing in This Proceeding.Commission Should Reject Intervenors Request for Oral Hearing & Approve Application ML20205G0921999-04-0505 April 1999 Joint Motion of All Active Participants for 10 Day Extension to Permit Continuation of Settlement Discussion.* Participants Request That Procedural Schedule Be Extended by 10 Days.With Certificate of Svc ML20205G3091999-03-31031 March 1999 Petition That Individuals Responsible for Discrimination Against Contract Electrician at Plant as Noted in OI Rept 1-98-005 Be Banned by NRC from Participation in Licensed Activities for at Least 5 Yrs ML20207K1941999-03-12012 March 1999 North Atlantic Energy Svc Corp Participation in Proceeding.* Naesco Wished to Remain on Svc List for All Filings.Option to Submit post-hearing Amicus Curiae Brief Will Be Retained by Naesco.With Certificate of Svc ML20199H0451999-01-21021 January 1999 Answer of Little Bay Power Corp to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests That Ui Petition to Intervene & for Hearing Be Denied for Reasons Stated.With Certificate of Svc ML20199D2311999-01-19019 January 1999 Response of New England Power Co to Answers of Montaup Electric Co & Little Bay Power Corp.* Nep Requests That Nep Be Afforded Opportunity to File Appropriate Rule Challenge with Commission Pursuant to 10CFR2.1329 ML20206R1041999-01-13013 January 1999 Answer of Little Bay Power Corp to Motion of New England Power Co for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* with Certificate of Svc ML20199A4741999-01-12012 January 1999 Answer of Montaup Electric Co to Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Nepco 990104 Motion Should Be Denied for Reasons Stated.With Certificate of Svc ML20206Q8451999-01-12012 January 1999 Written Comments of Massachusetts Municipal Wholesale Electric Co.* Requests That Commission Consider Potential Financial Risk to Other Joint Owners Associated with License Transfer.With Certificate of Svc.Served on 990114 ML20155J1071998-11-0909 November 1998 NRC Staff Answer to North Atlantic Energy Svc Corp Motion for Leave to File Reply.* Staff Does Not Object to North Atlantic Energy Svc Corp Motion.With Certificate of Svc ML20155D0041998-10-30030 October 1998 Motion for Leave to File Reply.* Licensee Requests Leave to Reply to Petitioner 981026 Response to Licensee 981015 Motion to Terminate Proceedings.Reply Necessary to Assure That Commission Is Fully Aware of Licensee Position ML20155D0121998-10-30030 October 1998 Reply to Petitioner Response to Motion to Terminate Proceedings.* Licensee Views Segmentation Issue as Moot & Requests Termination of Subj Proceedings.With Certificate of Svc ML20155B1641998-10-26026 October 1998 Response to Motion by Naesco to Withdraw Applications & to Terminate Proceedings.* If Commission Undertakes to Promptly Proceed on Issue on Generic Basis,Sapl & Necnp Will Have No Objection to Naesco Motion.With Certificate of Svc ML20154K8751998-10-15015 October 1998 Motion to Withdraw Applications & to Terminate Proceedings.* NRC Does Not Intend to Oppose Motion.With Certificate of Svc ML20153H4471998-10-0101 October 1998 Joint Motion of Schedule Deferral.* Naesco,Sapl & Necnp Jointly Request Temporary Deferral of Briefing Schedule as Established by Commission Order of 980917 (CLI-98-18). with Certificate of Svc ML20236W0931998-07-30030 July 1998 Reply to Staff & Naesco Objections to Joinder of Necnp & to Naesco Objection to Standing.* Advises That Jointer Issue Involves Only Question of How Pleadings May Be Captioned. W/Certificate of Svc ML20236U4221998-07-27027 July 1998 North Atlantic Energy Svc Corp Supplemental Answer Standing Issues.* Request for Hearing & Petition to Intervene,As Applied to Sapl & New England Coalition on Nuclear Pollution,Should Be Denied.W/Certificate of Svc ML20236T5201998-07-27027 July 1998 NRC Staff Response to 980709 Submittal by Seacoast Anti- Pollution League & New England Coalition on Nuclear Pollution (Necnp).* Board Should Deny Intervention by Necnp. Staff Does Not Contest Sapl Standing.W/Certificate of Svc ML20236J1111998-07-0202 July 1998 North Atlantic Energy Svc Corp Answer to Supplemental Petition for Hearing.* Util Will Respond to Any Further Petitions on Schedule Directed by Licensing Board Memorandum & Order of 980618.W/Certificate of Svc ML20249B9151998-06-24024 June 1998 NRC Staff Answer to Seacoast Anti-Pollution League (Sapl) 980605 Request for Hearing & to New England Coalition on Nuclear Pollution 980618 Request for Intervention.* Board Should Not Grant Sapl 980605 Request.W/Certificate of Svc ML20249B7631998-06-18018 June 1998 Supplemental & Amended Petition for Institution of Proceeding & for Intervention Pursuant to 10CFR2.714 on Behalf of Seacoast Anti-Pollution League & New England Coalition on Nuclear Power.* ML20249A9501998-06-12012 June 1998 Supplemental Petition of Great Bay Power Corp for Determination of Reasonable Assurance of Decommissioning Funding ML20199K3861998-01-29029 January 1998 Petition for Determination That Great Bay Power Corp'S Acceleration of Decommissioning Trust Fund Payments Would Provide Reasonable Asurance of Decommissioning Funding Or,In Alternative,Would Merit Permanent Exemption ML20217P7781997-12-18018 December 1997 Petition to Suspend Operating License Until Root Cause Analysis of Leaks in Piping in Train B of RHR Sys Conducted, Per 10CFR2.206 ML20140B9601997-06-0404 June 1997 Suppl to Great Bay Power Corp Petition for Partial Reconsideration of Exemption Order to Submit Requested Cost Data & to Request,In Alternate,Further Exemption ML20135A1051997-02-21021 February 1997 Petition of Great Bay Power Corp for Partial Reconsideration of Exemption Order.* Seeks Reconsideration of Staff'S Preliminary Finding That Great Bay Is Not Electric Utility as Defined by NRC in 10CFR50.2 ML20094N4021992-03-27027 March 1992 App to Appeal of Ofc of Consumer Advocate (Nuclear Decommissioning Finance Committee) Appeal by Petition Per Rsa 541 & Rule 10 ML20076D1281991-07-17017 July 1991 Licensee Motion to Dismiss Appeal.* Appeal Should Be Dismissed Based on Listed Reasons.W/Certificate of Svc ML20073E1301991-04-22022 April 1991 Opposition of Ma Atty General & New England Coalition on Nuclear Pollution to Licensee Motion for Summary Disposition.* Board Should Reopen Record,Permit Discovery & Hold Hearing on Beach Sheltering Issues ML20070V3311991-03-29029 March 1991 Licensee Motion for Summary Disposition of Record Clarification Directive in ALAB-939.* Licensee Request That Motion Be Moved on Grounds That Issues Herein Identified Became Moot & Thus Resolved.W/Certificate of Svc ML20070V4061991-03-25025 March 1991 Massachusetts Atty General Response to Appeal Board 910311 Order.* License Should Be Vacated Until There Is Evidence of Adequate Protective Measure for Special Needs Population. W/Certificate of Svc ML20076N0831991-03-21021 March 1991 Massachusetts Atty General Response to Appeal Board 910308 Order.* Opposes Licensing Board Issuance of Full Power OL Based on Reliance of Adequacy of Plan.W/Certificate of Svc ML20076N1861991-03-19019 March 1991 Intervenors Reply to NRC Staff & Licensee Responses to 910222 Appeal Board Order.* NRC & Licensee Should File Appropriate Motions & Supply Requisite Evidentiary Basis That Will Allow Board to Make Decision.W/Certificate of Svc ML20070M5151991-03-18018 March 1991 Licensee Response to Appeal Board 910308 Order.* Listed Issues Currently Being Appealed Should Be Dismissed as Moot. W/Certificate of Svc ML20076N0671991-03-15015 March 1991 Licensee Response to Appeal Board 910311 Order.* Controversy Re Special Needs Survey Resolved.Next Survey Will Be Designed by Person Selected by State of Ma & Licensee Will Pay Costs.W/Certificate of Svc ML20070M3781991-03-11011 March 1991 Licensee Response to 910222 Appeal Board Order.* Response Opposing Suspending or Otherwise Affecting OL for Plant Re Offsite Emergency Plan That Has Been Twice Exercised W/No Weakness Identified.W/Certificate of Svc & Svc List ML20070M2101991-03-11011 March 1991 Reply to Appeal Board 910222 Order.* Response Opposes ALAB-918 Issues Re Onsite Exercise Contention.W/Certificate of Svc ML20029B6061991-02-28028 February 1991 Response of Ma Atty General to Appeal Board 910222 Order.* Questionable Whether Eight Issues Resolved.To Dismiss Issues Would Be Wrong on Procedural Grounds & Moot on Substantive Grounds.W/Certificate of Svc ML20070E7741991-02-25025 February 1991 Opposition to Licensee Motion to Dismiss Appeal of LPB-89-38.* Believes Board Should Not Dismiss Intervenors Appeal Because There Was No Hearing on Rejected Contentions. Board Should Deny Licensee Motion.W/Certificate of Svc ML20066H0831991-02-12012 February 1991 Licensee Motion to Dismiss Appeal of LBP-89-38.* Appeal Should Be Dismissed Either as Moot or on Grounds That as Matter of Law,Board Correct in Denying Hearing W/Respect to Contentions at Issue.W/Certificate of Svc ML20066H0021991-02-0808 February 1991 Licensee Response to Appeal Board Order of 910204.* W/Certificate of Svc ML20067C5081991-02-0101 February 1991 Ma Atty General Response to Appeal Board Dtd 910122.* Identifies Two Issues That Potentially May Be Resolved. State Will Continue to Investigate Facts Re post-hearing Events That May Effect Pending Issues.W/Certificate of Svc ML20029A0451991-01-28028 January 1991 Licensee Suggestion for Certified Question.* Draft Certified Question for Appeal Board Encl.* W/Certificate of Svc ML20029A0431991-01-28028 January 1991 Licensee Response to 910124 Memorandum & Order.* Common Ref Document Derived from Copying Respective Portions of Emergency Response Plan & Associated Documents Provided.W/ Certificate of Svc ML20070U4811991-01-24024 January 1991 Motion Requesting Limited Oral Argument Before Commission of City of Holyoke Gas & Electric Dept New Hampshire Electric Cooperative Mact Towns ML20029A0091991-01-24024 January 1991 Response to Appeal Board 910111 Order.* Atty General Will Continue Ad Intervenor in Facility Licensing Proceeding. Changes to Emergency Planning for Facility Forthcoming. W/Certificate of Svc ML20029A0121991-01-24024 January 1991 Motion for Substitution of Party.* Atty General s Harshbarger Moves That Secretary of NRC Enter Order Substituting Him in Place Jm Shannon as Intervenor to Proceeding.W/Certificate of Svc 1999-08-03
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'o- UNITED STATES OF AMERICA i
NUCLEAR REGULATORY COMMISSION DOCKETED ATOMIC SAFETY AND LICENSING BOARD Before the Administrative Judgest '90 AU3 -1 P4 :09 Ivan W. Smith, Chairman 'l ' " ~ ' " ': i N Dr. Richard F. Cole ' '
Kenneth A. McCollom
)
In the Matter of ) Docket Nos. 50-443-OL
) 50-444-OL PUBLIC SERVICE COMPANY )
l OF NEW HAMPSHIRE, EI bL. )
)
July 31, 1990 (Seabrook Station, Units 1 and 2) )
}
l INTERVENORS OPPOSITION TO LICENSEE'S MOTION FOR
SUMMARY
DISPOSITION WITH RESPEQI TO "THE ALS PATIENTS ISSUE" In ALAB-924, 30 NRC 331 (1989), the Appeal Board remanded to the Licensing Beard the issue of whether the time necessary to prepare and load advanced life support (ALS) patients into ambulances has been adequately taken int 7 account in the development of evacuation time estimates (ETEs) for the ,
l i emergency planning zone (EPZ) for Seabrook Station. ALAB-924 l f-at 351. In LDP-90-12, 31 NRC -(May 3, 1990), and LDP-90-20, 31 NRC _(June 27, 1990), this Licensing Board i
identified the sub-issues to be resolved with respect to ALS patients as the following:
(1) How long does it take to ef ficiently prepare an ALS ,
I patient for transportation? .
I i
9000070,760 900731 '
PDR ATOCK 05000443 h
io -
(2) Would preparation of patients at an earlier initiating condition, gigt, declaration of an alert, or at an order to evacuate, be medically appropriate?
(3) How many ALS patients are there in the EPZ? Where are the ALS patients? Only at Exeter and Portsmouth Hospitals?
L (4) Would uncertainties in the times available to prepare ALS patients for evacuation produce ETEs that are too inaccurate to be useful in the selection of protective action options?
In response to this Licensing Board's directive the Licensees filed a Motion for Summary Disposition on the ALS Patient Issue along with supporting affidavits. The Massachusetts Attorney General and the New England coalition on Nuclear Pollution hereby oppose that Motion and for the reasons I
supplied below request that the Licensing Board deny the motion.
INTRODUCTiUN The standard by which a motion for summary disposition is judged-is found at 10 CFR 52.749(d). Under that standard the moving party is entitled to summary disposition only if there is a showing that there is no genuine issue as to any material fact and the moving party is entitled to a decision as a matter of law. The Licensees in this instance are not entitled ?.o summary disposition on the AIS issue because there are genuine issues as to material facts in dispute and they are not
~2-I
l otherwise entitled to a decision as a matter of law.
Specifically, there are genuine issues as to how many ALS )
l patients there are in the EPZ, how long it will take to prepare l and load the ALS patients into ambulances, and the impact of )
those uncertainties on the colection of protective action options.
As a preliminary matter, it should be observed that ETLs for Seabrook Station are calculated on a regional basis. This Board in LDP-89-32, 30 NRC 375, at 402 (1989) stated that; "In f act, the ETEs presented in the SPMC are for the entire 1 region under study, including both Massachusetts and New Hampshiro areas, . . . that NUREG-0654 calls for integrated omorgoney planning betwoon contiguous political jurisdictions (NUREG-0654, at 19, 23-24)."
The testimony of Joan Pilot that led to the Appeal Board romand of the ALS issue ir equally applicable to ALS patients in Massachusetts and New Hampshire. Thorofore, the issue of ETEs for ALS patients must address ALS patients in Massachusetts communities as well as those in Now Hampshire.
DISCUSSION The Licenscos' conclusion that there are only 35 AIE patients in the EPZ, totally ignores the number of ALS patients l
who would be at Amosbury Hospital and Anna Jaques Hospital.
I L
\
- Th3 offid2vito cf B; tty Coh;n cnd Allen Des RoJicrs frca Amesbury and Anna Jaques hospitals respectively establish that both of those Massachusetts hospitals also have ALS patients in residence.
Similarly, the Licenscos have failed to establish how long it would take to ef ficiently preparo an ALS patient for transportation. The affidavits of Botsy Cohen, Allan Dos Rosiers, and Stanley Plodzik all show that the amount of time that it would take to prepare and load an ALS patient would vary widely depending upon the time of the day that an evacuation occurs. If an evacuation takes place during night hours, the reduced staffing personnel at thn hospital will significantly impact on how long it takes to prepare and load an ALS patient.
The increased amounts of time to preparo and load ALS patients during evenings and wookonds range from forty-five minutos in the caso of Portsmouth Regional Hospital to nearly an hour and a half in the case of Amesbury Hospital.
Furthermore, the affidavits of Betsy Cohen and Allan Dos Rosiers indicate that although electivo surgery is not performed on wockends the lessor number of ALS patients attributable to that non-performance would not significantly impact the increased estimated times.
( The development of ETEs for the transit dependent population including ALS patients is described in the NHRERP,
! Vol. 8 starting at 11-1. Thoso ETE calculations assumo a l
loading time of 0.67 hours7.75463e-4 days <br />0.0186 hours <br />1.107804e-4 weeks <br />2.54935e-5 months <br />, or approximately forty minutos, for persons who will be transported by emergency medical vehicles, j i
l I
(Vol. 8 at 11-22) That cicarly is substantially less than the 1
amount of time that the hospital personnel who have provided i affidavits calculate it will take to prepare and load ALS ,
j patients during evening and night shif ts even assuming that some of the preparation is done in advance of the arrival of ambulances.
The Licensees argue that any uncertainties in AIS patient ETEs resulting from longer loading timos make little difference because they do not impact on protective action options for ALS patients. Their argument on this point has three prongs, i
First, they argue that protectivo action decisions for AIS patients will be made without regard to ETEs citing to the af fidivits of John Donds and Anthony Callendrollo. Secondly, they contend that the ETEs for ALS patients are within or close enough to the ETEs for the general population so that PARS for ALS patients would not vary from that for the general population. Finally, they argue that ETEs really do not make any difference to protectivo action options since to the extent that ALS patients could not be evacuated as quickly as the general population, they would be following the only other protective option and sheltering. Licensocs' Motion at 4-5.
None of these arguements withstand scrutiny.
As to their first argument, the Licensees confuse the fact that physicians, or other medical personnol, will continue to I
have final judgment as to whether ALS patients should be moved with whether ETEs aro useful tools to be employed in making protectivo action decisions for ALS patients. While clearly L
l
F ,
t physicians will continue to exercise independent judgment as to the care of their patients, that does not mean that accurate ETEs should not be developed for ALS patients. If a physician l I
believes that moving a critically ill ALS patient will possibly I l
harm him, then certainly the physician will not allow the patient to be moved regardless of any risk of radiological exposure. However, if an ALS patient is less critical such as a woman in active labor or a post-operative patient might be, and the doctor sees no overwhelming danger associated with evacuation, then ETEs are useful in assessing an appropriate protective action. The utility of ETEs for ALS patients are inversely proportional to the risk posed by simply moving such patients. If there is a great risk associated with moving an I
ALS patient, they may of little utility. However, if there is a relatively small risk in moving the patient, they are useful in the same way as they are for the general population.
The second position asserted by the Licensees, i.e., that the ETEs for ALS patients are encompassed by the ETEs for the general population, is at best premature. Since the figures l used for preparation and loading timos for ALS patients did not account for the longer times that would occur during evening i
and night shifts, it is at this point impossible to assess 1 whether the ALS ETEs are encompassed by those for the general population. It certainly appears that in some scenarios where there are short ETEs for the general population the ETEs for the ALS patients may be considerably longer than those of the general population. The NRC's Staff's own expert in this area, l j
l J
E ,
l Thomas Urbanik, conditioned his opinion on the ALS ETEs on the assumption that the preparation and moving times provided by the Licensees were accurate. Thorofore, the present posture of the evidence on this issue demonstratos that there is a dispute as to a material fact.
Finally, as Robert Goble states in his affidavit:
Although uncertaintion are always present in developing ETEs reasonable and attainable accuracy in the estimates will produce results which can make a difference in a choice of PAR across a broad spectrum of accident situations.
The chird prong of the Licensco's argument falls because contrary to the position postulated by the Licensees there are accident scenarios where the choice of an appropriate PAR for ALS patients will be impacted by the length of ALS patient ETEs in contradistinction from those for the general public. The Licenscos argument is subtly rooted in their persistent predeliction for evacuation as a PAR. They argue that even if Als patiento can not be evacuated within the same timo frame as the general population, it is of little consequence becauso while they are waiting to ovacuate, they are sheltering. This facile tautology ignoros the doso consequences attendant to any scenario in which delay in ovacuation will result in the loading and evacuating of ALS patients in the midst of a plume, thus maximizing exposure. Particularly whero one choice is tho enhanced sholtoring afforded by hospital construction sheltering (at least until after plume passage), will in some scenarios enhance doso savings. The sheltering factors of hospital construction is significantly greater than that of the beach housing factors used for the general population in determining protective action recommendations. If that is considered in conjunction with the longer ETEs of ALS patients, protection actions that maximize dose savings for ALS patients ;
will differ from those of the general public over a broad spectrum of accident sce narios. Robert Goble Aff't.
CONCLUSION Therefore, since there are material facts in dispute as to the number of ALS patients in the EPZ, where they are located, the amount of time that it will take to prepare and load them, and the utility of ETEs for A1S patients in formulating and implementing protective action options, the Licensees motion for summary disposition should be denied.
Respectfully submitted, COMMONWEALTl! OF MASSACHUSETTS JAMES M. SHANNON, ATTORNEY GENERAL
/Y 161n Trafi' conte dhief, Nuc1 car Safety Unit Imslie Greer Assistant Attorney General Department of the Attorney General One Ashburton Place I Doston, MA 02108 I (617) 727-2200 l DATED: July 31, 1990 1928n 1
o STATEMENT OF MATERIAL FACTS AS TO WHICH IT IS CONTENDED THAT THERE EXISTS A i GENUINE ISSUE TO BE HEARD !
- 1. It is contested that a prudent planning basis for the I ALS patient consus at the timo of an omorgency would be a total of 35 ALS patients in the entire EPZ (22 at Exotor Hospital and 13 at Portsmouth Regional Hospital).
- 2. It is contested that this number of 35 would occur !
during the day on wook days.
- 3. It is contested that at Exotor Hospital the average pre.paration timo for an ALS patient is 115 minutos, 70 minutos of t:hich can be accomplished prior to ambulanco arrival, leaving a final preparation and loading tir.o of 45 minutes.
Avorago preparation timo at hospitals varios widely doponding upon the shift staffing levels.
- 4. It is contested that in the caso of Po; tsmouth Regional Hospital, the average preparation timo for an ALS patient is 45 minutos, lo minutos of which can be accomplished prior to ambulanco arrival, leaving a final preparation and loading time of 35 minutes.
- 5. It is contested that the omorgency management plan of Portsmouth Regional Hospital will in fact ensure sufficient 24-hour staff for omorgency conditions as may exist during a radiological omorgency.
- 6. It is contestod that ETEs for ALS patients are of little utility in dotormining appropriate PARS for such patients.
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- 7 While emergency plans for hospitals provide that patients considered too critical for transport should be considered candidates for sheltering rather than evacuation, it is contested that that provision means that PARS for ALS patients will be made without reference to ETEs. The emergency management plan for Exotor Hospital also providos sheltering or evacuation will be recommended depending upon the projected radiological doses. Exeter Hospital Emergency Plan at page 7 attached to Affidavit of .Tohn Bonds.
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t UNITED STATES OF AMERICA Lotht;to NUCLEAR REGULATORY COMMISSION USNhC !
ATOMIC SAFETY AND LICENSING BOARD 30 ALG -1 P4 :09 Before the Administrative Judgest i
Ivan W. Smith, Chairman (n {E N SLCMtt.sv l "0CXl hN1 A M ilvict l Dr. Richard F. Cole bk ANa Kenneth A. McCollom
)
) Docket Nos. 50-443-OL In the Matter of ) 50-444-OL PUBLIC SERVICE COMPANY )
OF NEW HAMPSHIRE, EI AL. ) -
, )
July 31, 1990 (Scabrook Station, Units 1 and 2) )
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CERTIFICATE OF SERVICE I, John Traficonte, hereby certify that on July 31, 1990, I made cervice of the within INTERVENORS' OPPOSITION TO LICENSEE'S MOTION FOR
SUMMARY
DISPOSITION WITH RESPECT TO "THE ALS PATIENT'S ISSUE" by Federal Express as indicated by (*), by hand as indicated by (**),
cnd by first class mail to:
- Ivan W. Smith, Cha'irman *Kenneth A. McCollom 1107 W. Knapp St.
Atomic Safety & Licensing Board Stillwater, OK 74075 U.S. Nuclear Regulatory Commission
- Docketing and Service East West Towers Building U.S. Nuclear Regulatory 4350 East West Highway Bethesda, MD 20814 Commission Washington, DC 20555 ,
Paul McEachern, Esq.
- Dr. Richard F. Cole Shaines & McEachern Atomic Safety & Licensing Board 25 Maplewood Avenue U.S. Nucicar Regulatory Commission East West Towers Building P. O. Box 360 4350 East West Highway Portsmouth, NH 03801 Dethesda, MD 20814 l
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- Robert R. Pierce, Esq. ** Thomas G. Dignan, Jr.1/ i Atomic Safety & Licensing Board Katherine Selleck, Esq. ,
U.S. Nuclear Regulatory Commission Ropos & Gray l East West Towers Building one International Place 4350 East West Highway Boston, MA 02110 Bethesda, MD 20814 H. Joseph Flynn, Esq. *Mitzi A. Young, Esq.
Edwin J. Reis, Esq.
Assistant General Counsel U.S. Nuclear Regulatory Office of General Counsel Commission Federal Emergency Management Agency office of the conoral Counsel -
500 C Street, S.W. 15th Floor Washington, DC 20472 11555 Rockville Pike Rockville, MD 20852 ;
Atomic Safety & Licensing Robert A. Backus, Esq. ;
Appeal Board Backus, Moyer & Solomon U.S. Nuclear Regulatory 116 Lowell Street Commission P.O. Box 516 '
Washington, DC 20555 Manchester, NH 03106 Atomic Safety & Licensing Board Jano Doughty ,
U.S. Nuclear Regulatory Commission Seacoast Anti-Pollution League Washington, DC 20555 5 Market Street '
Portsmouth, NH 03801 Charles P. Graham, Esq. Barbara St. Andre, Esq.
Murphy & Graham Kopolman & Paige, P.C.
33 Low Stroot 77 Franklin Street Newburyport, MA 01950 Boston, MA 02110 Judith H. Mizner, Esq. R. Scott Hill-Whilton, Esq.
79 State Stroet Lagoulis, Hill-Whilton 2nd Floor & Rotondi Newburyport, MA 01950 79 State Street Newburyport, MA 01950 Diane Curran, Esq. Ashod N. Amirlan, Esq.
Harmon, Curran, & Towsley 145 South Main Street Suite 430 P.O. Box 38 2001 S Stroot, N.W. Bradford, MA 01835 Washington, DC 20008 Sonator Gordon J. Humphrey Senator Gordon J. Humphroy U.S. Sonate One Eagle Square, Suito 507 Washington, DC 20510 Concord, NH 03301 l
_ (Attn: Tom Burack) (Attn: Herb Boynton)
L 1/ Hand delivery was mado on August 1, 1990 by 10:00am l
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s John P. Arnold, Attorney General Phillip Ahrens, Esq.
Office of the Attorney General Assistant Attorney General 25 Capitol Street Department of the Attorney Concord, NM 03301 General
! Augusta, ME 04333 Jack Dolan George Iverson, Director Federal Emergency Management N.H. Office of Emergency Agency Management Region 1 State llouse Office Park South J.W. McCormack Post Office & 107 Pleasant Street Courthouse Buildir..f, Room 442 Concord, NH 03301 Boston, MA 02109 COMMONWEALTil OF MASSACHUSETTS JAMES M. SRANNON ATTORNEY GENERAL WL hn Trafibonte
,bsistant Attorney General l
Chief, Nuclear Safety Unit Department of the Attorney General j One Ashburton Place Boston, MA 02108-1698 (617) 727-2200 DATED: July 31, 1990 l
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