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Category:INTERVENTION PETITIONS
MONTHYEARML20092D2931992-02-0606 February 1992 Answer Denying Petitions for Leave to Intervene & Request for Prior Hearing Re Decommissioning ML20081L4831991-06-21021 June 1991 Petitioner Amend & Suppl to Petitions to Intervene.* Petitions to Intervene & Requests for Hearings & File Joint Suppl to Petitions to Intervene,Including List of Contentions Amended.W/Certificate of Svc ML20082B4441991-06-21021 June 1991 Petitioner Amend & Suppl to Petitions to Intervene.* Amends Petition to Intervene & Requests for Hearings.Files Joint Suppl to Petitions to Intervene.W/Certificate of Svc ML20073A4921991-04-0808 April 1991 Scientists & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request for Remedies Noted in Original Petition ML20073A4241991-04-0808 April 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request for Remedies Noted in Original Petition ML20066H1961991-02-14014 February 1991 Petitioners Joint Response to Lilco Motion to Dismiss as Moot Petitioners Request for Stay of LBP-91-01.* Urges Board to Deny Lilco Motion to Dismiss & Grant Petitioners Motion to for Stay.W/Certificate of Svc ML20066H0311991-02-11011 February 1991 Joint Supplemental Comments on Proposed NSHC Determination.* Urges Staff Not to Issue Final NSHC Determination. W/Certificate of Svc ML20066H2851991-02-11011 February 1991 Petitioners Joint Notice of Intent to Petition for Review & Request for Stay.* Petitioners Urge Commission to Stay Issuance of License for 15 Working Days After Fr Publication.W/Certificate of Svc ML20066G9331991-02-0707 February 1991 Lilco Opposition to Petitioners Appeal from LBP-91-1.* Petition Should Be Denied Due to Listed Reasons. W/Certificate of Svc ML20067C6971991-02-0606 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* W/Certificate of Svc ML20067C9421991-02-0606 February 1991 Scientist & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* Amends Petition to Intervene by Providing Encl Affidavits ML20066G9001991-02-0505 February 1991 Lilco Motion to Dismiss as Moot Petitioners Request for Stay of LBP-91-1.* W/Certificate of Svc ML20067C3021991-02-0404 February 1991 Scientists & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* ML20067C7781991-02-0404 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Petition to Intervene in Proceeding Re Emergency Preparedness Amend ML20067C8231991-02-0404 February 1991 Scientists & Engineers for Secure Energy,Inc. Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request in Original Petition,Contending That Injuries Will Be Remedied by Decision Granting Relief Sought ML20067C8351991-02-0404 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Requests That Action Be Set Down for Hearing After Prehearing Conference & Appropriate Discovery ML20062H5951990-11-21021 November 1990 Reply of Mm Cuomo,Governor of State of Ny,As Friend of Commission in Opposition to Joint Petition for Reconsideration & to Comments of DOE & Ceq.* Certificate of Svc Encl ML20062C2861990-10-24024 October 1990 NRC Staff Response to Shoreman-Wading River Central School District & Scientists & Engineers for Secure Energy,Inc Petitions to Intervene & Requests for Hearing on Proposed possession-only License Amend.* W/Certificate of Svc ML20028H3021990-10-12012 October 1990 Comments of Long Island Power Authority in Response to Commission 901003 Order.* Shoreham-Wading River Central School District & Scientists & Engineers for Secure Energy, Inc Petitions Should Be Denied.W/Certificate of Svc ML20028H2981990-10-12012 October 1990 Lilco Opposition to Intervention Petitions & Request for Hearing on 900105 Request to Remove Operating Authority for Shoreham.* W/Certificate of Svc ML20062C0921990-05-21021 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Proposed Offsite Emergency Preparedness License Condition Amend,Filed by Scientists & Engineers for Secure Energy,Inc & by Shoreham-Wading....* W/Certificate of Svc ML20062C0861990-05-15015 May 1990 Lilco Opposition to Intervention Petitions & Requests for Hearing on Amend to Emergency Preparedness License Conditions.* W/Certificate of Svc ML20062C0851990-05-10010 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Proposed Amend to Licensee Physical Security Plan Filed by Scientists & Engineers for Secure Energy,Inc & by Shoreham-Wading River Central....* W/Certificate of Svc ML20062C0831990-05-0808 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Confirmatory Order,Filed by Scientists & Engineers,Inc & by Shoreham-Wading River Central School District.* Petitions Should Be Denied.W/Certificate of Svc ML20062C0711990-05-0303 May 1990 Lilco Opposition to Intervention Petitions & Requests for Hearing on Confirmatory Order & on Amend to Physical Security Plan.* Petitioners Will Not Suffer Injury in Fact & Petitions Should Be Denied.W/Certificate of Svc ML20062C0631990-04-30030 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for New License Condition Negating Several Existing License Conditions.W/Certificate of Svc ML20062C0511990-04-30030 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for New License Condition Negating Several Existing Conditions.W/Certificate of Svc ML20062C0411990-04-20020 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Changes to Plant Physical Security Plan. Certificate of Svc Encl ML20062C0261990-04-20020 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for Amend Changing Plant Physical Security Plan.W/Certificate of Svc ML20062C0121990-04-17017 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re NRC 900329 Confirmatory Order Modifying License. W/Certificate of Svc ML20062B9881990-04-17017 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Order Vacating Confirmatory Order Pendente Lite & Consolidation of Petition W/Other Intervenors.W/Certificate of Svc ML20196F6891988-11-29029 November 1988 Amended Emergency Planning Contentions Re 880607-09 Shoreham Exercise.* ML20206C2071988-11-0808 November 1988 NRC Staff Response to Intervenors Proffered Contentions Re Emergency Planning Exercise Held on 880607-09.* Certificate of Svc Encl ML20205R5081988-11-0303 November 1988 Lilco Response to 1988 Exercise Contentions.* Intervenors 20 Exercise Contentions Should Not Be Admitted Due to Lack of Basis & Sepcificity.Supporting Documentation & Certificate of Svc Encl ML20205E0931988-10-24024 October 1988 Emergency Planning Contentions Relating to 880607-09 Shoreham Exercise.* Contentions Demonstrate,Exercise Results Again Reveal Fundamental Flaws in Lilco Plan & Exercise. Certificate of Svc Encl ML20151S0561988-08-0909 August 1988 Suffolk County,State of Ny & Town of Southampton Response to Lilco Renewed Opposition to Govts Proposed Contention on Emergency Medical Svcs for Contaminated Injured Individuals & Suggestion of Mootness.* Certificate of Svc Encl ML20151N5481988-07-28028 July 1988 Lilco Renewed Opposition to Intervenor Proposed Contention on Emergency Medical Svcs for Contaminated Injured Individuals & Suggestion of Mootness.* Moves Commission to Dismiss Intervenor Proposed Contention of 870225 ML20154B4811988-05-10010 May 1988 Govts Objections to Lilco First Set of Requests for Admissions Re Contentions 1-2,4-8 & 10 to Suffolk County & Ny State.* Certificate of Svc Encl.Related Correspondence ML20154B5941988-05-0202 May 1988 Govt Response to Lilco 880422 Request for Dismissal of Legal Authority Contentions.* ASLB Should Deny Lilco Request That Legal Authority Contentions Be Dismissed.W/Certificate of Svc ML20149D8021988-02-0505 February 1988 Govt Response to Staff & Lilco Objections to Emergency Planning Contention Re Lilco New Emergency Broadcast Proposal.* Govt Emergency Broadcast Proposal Should Be Admitted in Entirety.W/Certificate of Svc ML20148U5951988-01-27027 January 1988 NRC Staff Response to Proferred Intervenor Contention on Adequacy of Emergency Plan Provisions for Radio Transmission of Emergency Broadcast Sys Messages.* Contention Should Be Denied Due to Lack of Basis.Certificate of Svc Encl ML20147B9821988-01-12012 January 1988 Emergency Planning Contention Re Lilco New Emergency Broadcast Sys Proposal.* Certificate of Svc Encl ML20235R3921987-10-0505 October 1987 Response Supporting Lilco Motion for Summary Disposition of Contention 92.Applicant Entitled to Decision as Matter of Law & 870911 Motion Should Be Granted.Certificate of Svc Encl ML20215L0881987-05-0404 May 1987 Contention Ex 40 -- Calculation of Change in Total Population Dose as Result of Mobilization Delays.* Description & Results of Util Calculations & CA Daverio & Eb Liebermen Affidavits Encl.Certificate of Svc Encl ML20212K4421987-03-0202 March 1987 Emergency Planning Contentions Re 860213 Exercise.* ML20215B1421986-12-0909 December 1986 Revised Emergency Planning Contentions Re 860213 Exercise. Util Lack of Legal Authority & Govt Lack of Participation Discussed ML20214P4121986-11-24024 November 1986 Response to Util Submission of Revised Std Version of Intervenor 860801 Exercise Contentions.Lilco Submission Should Be Modified to Conform to ASLB 861003 Prehearing Conference Order.Certificate of Svc Encl ML20214J6391986-11-24024 November 1986 Response to Util Submission of Revised Std Version of Intervenors Exercise Contentions,Per Board 861113 Order. Submission Seriously Distorts Margulies Board 861003 Rulings & Must Be Rejected.Related Info Encl.W/Certificate of Svc ML20215N6371986-11-0303 November 1986 Response to Intervenor 861103 Pleading Re Objections to 861003 Prehearing Order Concerning Contentions 15,16 & 19 Re Emergency Plan Exercise.Ambiguity Re Unacceptable Contentions Should Be Resolved.Certificate of Svc Encl ML20212M7511986-08-25025 August 1986 Response Opposing Util & NRC 860815 Objections to 860801 Emergency Planning Contentions Re 860213 Exercise.Objections W/O Merit.Contentions Should Be Admitted as Drafted 1992-02-06
[Table view] Category:RESPONSES & CONTENTIONS
MONTHYEARML20092D2931992-02-0606 February 1992 Answer Denying Petitions for Leave to Intervene & Request for Prior Hearing Re Decommissioning ML20081L4831991-06-21021 June 1991 Petitioner Amend & Suppl to Petitions to Intervene.* Petitions to Intervene & Requests for Hearings & File Joint Suppl to Petitions to Intervene,Including List of Contentions Amended.W/Certificate of Svc ML20082B4441991-06-21021 June 1991 Petitioner Amend & Suppl to Petitions to Intervene.* Amends Petition to Intervene & Requests for Hearings.Files Joint Suppl to Petitions to Intervene.W/Certificate of Svc ML20073A4921991-04-0808 April 1991 Scientists & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request for Remedies Noted in Original Petition ML20073A4241991-04-0808 April 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request for Remedies Noted in Original Petition ML20066H1961991-02-14014 February 1991 Petitioners Joint Response to Lilco Motion to Dismiss as Moot Petitioners Request for Stay of LBP-91-01.* Urges Board to Deny Lilco Motion to Dismiss & Grant Petitioners Motion to for Stay.W/Certificate of Svc ML20066H0311991-02-11011 February 1991 Joint Supplemental Comments on Proposed NSHC Determination.* Urges Staff Not to Issue Final NSHC Determination. W/Certificate of Svc ML20066H2851991-02-11011 February 1991 Petitioners Joint Notice of Intent to Petition for Review & Request for Stay.* Petitioners Urge Commission to Stay Issuance of License for 15 Working Days After Fr Publication.W/Certificate of Svc ML20066G9331991-02-0707 February 1991 Lilco Opposition to Petitioners Appeal from LBP-91-1.* Petition Should Be Denied Due to Listed Reasons. W/Certificate of Svc ML20067C6971991-02-0606 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* W/Certificate of Svc ML20067C9421991-02-0606 February 1991 Scientist & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* Amends Petition to Intervene by Providing Encl Affidavits ML20066G9001991-02-0505 February 1991 Lilco Motion to Dismiss as Moot Petitioners Request for Stay of LBP-91-1.* W/Certificate of Svc ML20067C3021991-02-0404 February 1991 Scientists & Engineers for Secure Energy,Inc Amend to Request for Hearing & Petition to Intervene.* ML20067C7781991-02-0404 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Petition to Intervene in Proceeding Re Emergency Preparedness Amend ML20067C8231991-02-0404 February 1991 Scientists & Engineers for Secure Energy,Inc. Amend to Request for Hearing & Petition to Intervene.* Petitioner Renews Request in Original Petition,Contending That Injuries Will Be Remedied by Decision Granting Relief Sought ML20067C8351991-02-0404 February 1991 Shoreham-Wading River Central School District Amend to Request for Hearing & Petition to Intervene.* Requests That Action Be Set Down for Hearing After Prehearing Conference & Appropriate Discovery ML20062H5951990-11-21021 November 1990 Reply of Mm Cuomo,Governor of State of Ny,As Friend of Commission in Opposition to Joint Petition for Reconsideration & to Comments of DOE & Ceq.* Certificate of Svc Encl ML20062C2861990-10-24024 October 1990 NRC Staff Response to Shoreman-Wading River Central School District & Scientists & Engineers for Secure Energy,Inc Petitions to Intervene & Requests for Hearing on Proposed possession-only License Amend.* W/Certificate of Svc ML20028H3021990-10-12012 October 1990 Comments of Long Island Power Authority in Response to Commission 901003 Order.* Shoreham-Wading River Central School District & Scientists & Engineers for Secure Energy, Inc Petitions Should Be Denied.W/Certificate of Svc ML20028H2981990-10-12012 October 1990 Lilco Opposition to Intervention Petitions & Request for Hearing on 900105 Request to Remove Operating Authority for Shoreham.* W/Certificate of Svc ML20062C0921990-05-21021 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Proposed Offsite Emergency Preparedness License Condition Amend,Filed by Scientists & Engineers for Secure Energy,Inc & by Shoreham-Wading....* W/Certificate of Svc ML20062C0861990-05-15015 May 1990 Lilco Opposition to Intervention Petitions & Requests for Hearing on Amend to Emergency Preparedness License Conditions.* W/Certificate of Svc ML20062C0851990-05-10010 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Proposed Amend to Licensee Physical Security Plan Filed by Scientists & Engineers for Secure Energy,Inc & by Shoreham-Wading River Central....* W/Certificate of Svc ML20062C0831990-05-0808 May 1990 NRC Staff Response to Petitions to Intervene & Requests for Hearing on Confirmatory Order,Filed by Scientists & Engineers,Inc & by Shoreham-Wading River Central School District.* Petitions Should Be Denied.W/Certificate of Svc ML20062C0711990-05-0303 May 1990 Lilco Opposition to Intervention Petitions & Requests for Hearing on Confirmatory Order & on Amend to Physical Security Plan.* Petitioners Will Not Suffer Injury in Fact & Petitions Should Be Denied.W/Certificate of Svc ML20062C0631990-04-30030 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for New License Condition Negating Several Existing License Conditions.W/Certificate of Svc ML20062C0511990-04-30030 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for New License Condition Negating Several Existing Conditions.W/Certificate of Svc ML20062C0411990-04-20020 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Changes to Plant Physical Security Plan. Certificate of Svc Encl ML20062C0261990-04-20020 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re Lilco Application for Amend Changing Plant Physical Security Plan.W/Certificate of Svc ML20062C0121990-04-17017 April 1990 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Hearing.* Requests Hearing Re NRC 900329 Confirmatory Order Modifying License. W/Certificate of Svc ML20062B9881990-04-17017 April 1990 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Hearing.* Requests Order Vacating Confirmatory Order Pendente Lite & Consolidation of Petition W/Other Intervenors.W/Certificate of Svc ML20196F6891988-11-29029 November 1988 Amended Emergency Planning Contentions Re 880607-09 Shoreham Exercise.* ML20206C2071988-11-0808 November 1988 NRC Staff Response to Intervenors Proffered Contentions Re Emergency Planning Exercise Held on 880607-09.* Certificate of Svc Encl ML20205R5081988-11-0303 November 1988 Lilco Response to 1988 Exercise Contentions.* Intervenors 20 Exercise Contentions Should Not Be Admitted Due to Lack of Basis & Sepcificity.Supporting Documentation & Certificate of Svc Encl ML20205E0931988-10-24024 October 1988 Emergency Planning Contentions Relating to 880607-09 Shoreham Exercise.* Contentions Demonstrate,Exercise Results Again Reveal Fundamental Flaws in Lilco Plan & Exercise. Certificate of Svc Encl ML20151S0561988-08-0909 August 1988 Suffolk County,State of Ny & Town of Southampton Response to Lilco Renewed Opposition to Govts Proposed Contention on Emergency Medical Svcs for Contaminated Injured Individuals & Suggestion of Mootness.* Certificate of Svc Encl ML20151N5481988-07-28028 July 1988 Lilco Renewed Opposition to Intervenor Proposed Contention on Emergency Medical Svcs for Contaminated Injured Individuals & Suggestion of Mootness.* Moves Commission to Dismiss Intervenor Proposed Contention of 870225 ML20154B4811988-05-10010 May 1988 Govts Objections to Lilco First Set of Requests for Admissions Re Contentions 1-2,4-8 & 10 to Suffolk County & Ny State.* Certificate of Svc Encl.Related Correspondence ML20154B5941988-05-0202 May 1988 Govt Response to Lilco 880422 Request for Dismissal of Legal Authority Contentions.* ASLB Should Deny Lilco Request That Legal Authority Contentions Be Dismissed.W/Certificate of Svc ML20149D8021988-02-0505 February 1988 Govt Response to Staff & Lilco Objections to Emergency Planning Contention Re Lilco New Emergency Broadcast Proposal.* Govt Emergency Broadcast Proposal Should Be Admitted in Entirety.W/Certificate of Svc ML20148U5951988-01-27027 January 1988 NRC Staff Response to Proferred Intervenor Contention on Adequacy of Emergency Plan Provisions for Radio Transmission of Emergency Broadcast Sys Messages.* Contention Should Be Denied Due to Lack of Basis.Certificate of Svc Encl ML20147B9821988-01-12012 January 1988 Emergency Planning Contention Re Lilco New Emergency Broadcast Sys Proposal.* Certificate of Svc Encl ML20235R3921987-10-0505 October 1987 Response Supporting Lilco Motion for Summary Disposition of Contention 92.Applicant Entitled to Decision as Matter of Law & 870911 Motion Should Be Granted.Certificate of Svc Encl ML20215L0881987-05-0404 May 1987 Contention Ex 40 -- Calculation of Change in Total Population Dose as Result of Mobilization Delays.* Description & Results of Util Calculations & CA Daverio & Eb Liebermen Affidavits Encl.Certificate of Svc Encl ML20212K4421987-03-0202 March 1987 Emergency Planning Contentions Re 860213 Exercise.* ML20215B1421986-12-0909 December 1986 Revised Emergency Planning Contentions Re 860213 Exercise. Util Lack of Legal Authority & Govt Lack of Participation Discussed ML20214P4121986-11-24024 November 1986 Response to Util Submission of Revised Std Version of Intervenor 860801 Exercise Contentions.Lilco Submission Should Be Modified to Conform to ASLB 861003 Prehearing Conference Order.Certificate of Svc Encl ML20214J6391986-11-24024 November 1986 Response to Util Submission of Revised Std Version of Intervenors Exercise Contentions,Per Board 861113 Order. Submission Seriously Distorts Margulies Board 861003 Rulings & Must Be Rejected.Related Info Encl.W/Certificate of Svc ML20215N6371986-11-0303 November 1986 Response to Intervenor 861103 Pleading Re Objections to 861003 Prehearing Order Concerning Contentions 15,16 & 19 Re Emergency Plan Exercise.Ambiguity Re Unacceptable Contentions Should Be Resolved.Certificate of Svc Encl ML20212M7511986-08-25025 August 1986 Response Opposing Util & NRC 860815 Objections to 860801 Emergency Planning Contentions Re 860213 Exercise.Objections W/O Merit.Contentions Should Be Admitted as Drafted 1992-02-06
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20093G4541995-10-18018 October 1995 Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommissioning Procedures for Nuclear Power Reactors ML20058K7381993-12-0303 December 1993 Memorandum & Order CLI-93-25.* Commission Denies State of Nj Petition for Leave to Intervene & Request for Adjudicatory Hearing Filed on 931008.W/Certificate of Svc.Served on 931203 ML20058E0151993-11-14014 November 1993 Comment Opposing Proposed Rule 10CFR50 Re Exemptions in Accident Insurance for Nuclear Power Plants Prematurely Shut Down ML20059B0301993-10-22022 October 1993 NRC Staff Response to Commission Questions Posed W/Respect to State of New Jersey Petition for Leave to Intervene & Request for Hearing.* Denies Petition to Intervene & Request for Hearing.W/Certificate of Svc & Notice of Appearance ML20059B0621993-10-20020 October 1993 Long Island Power Authority Response to Nuclear Regulatory Commission Order of 931014.* Requests That NRC Reject State of Nj Filing.W/Certificate of Svc ML20059B1111993-10-20020 October 1993 Philadelphia Electric Co Response to NRC 931014 Order.* State Failed to Demonstrate Entitlement to Hearing to Challenge Util Amend to Permit Util to Receive Shoreham Fuel ML20059A4581993-10-14014 October 1993 Order Requesting Answers to Two Questions Re State of Nj Request for Immediate Action by NRC or Alternatively, Petition for Leave to Intervene & Request for Hearing. Operations Plans for Marine Transportation Withheld ML20057G2141993-10-14014 October 1993 Order.* Requests for Simultaneous Responses,Not to Exceed 10 Pages to Be Filed by State,Peco & Lipa & Served on Other Specified Responders by 931020.NRC May File by 931022. W/Certificate of Svc.Served on 931014 ML20059F0191993-10-0808 October 1993 Long Island Power Authority Reply to New Jersey Filing of 931020.* Licensee Requests That NRC Deny State of Nj Intervention Petition.W/Certificate of Svc ML20057F2191993-09-30030 September 1993 Exemption from Requirements of 10CFR50.54(q) Eliminating Licensee Requirement to Follow & Maintain in Effect Emergency Plans ML20059B1291993-09-14014 September 1993 Affidavit of Jh Freeman.* Discusses Transfer of Slightly Used Nuclear Fuel from Shoreham Nuclear Power Station to Limerick Generating Station.W/Certificate of Svc & Notice of Appearance ML20097C2911992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeal.* Dismisses 911203 Notice of Appeal W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees Due to Encl Settlement Agreement. W/Certificate of Svc ML20097C1361992-06-0303 June 1992 Petitioners Consented Motion to Dismiss.* Petitioners by Counsel Move ASLB to Dismiss Petitioners as Petitioners for Leave to Intervene & Request for Hearing in Proceeding W/ Prejudice.W/Certificate of Svc ML20097C1081992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Appeal.* Petitioners Hereby Move to Dismiss 910628 Notice of Appeal in Matter W/Prejudice & W/Each Party to Bear Own Costs & Atty Fees.W/ Certificate of Svc ML20097C2631992-06-0303 June 1992 Petitioner Consented Motion to Dismiss.* NRC Should Issue Order Dismissing School District & Scientists & Engineers for Secure Energy,Inc as Petitioners in Proceeding.W/ Settlement Agreement & Certificate of Svc ML20097C2891992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeals.* Appeals Being Dismissed Due to Encl Settlement Agreement.Nrc Should Dismiss Appeals W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees.W/Certificate of Svc ML20097C3241992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Joint Opposition to Issuance of Decommissioning Order Prior to Hearing.* W/Certificate of Svc ML20096A5921992-05-0707 May 1992 Motion to Withdraw Supplemental Filing.* Petitioners Urge NRC to Allow Withdrawal of Supplement for Good Cause Shown. W/Certificate of Svc ML20096A5311992-05-0606 May 1992 Long Island Power Authority Comments on SECY-92-140 & Response to Petitioner Joint Opposition to Decommissioning Order.* Util Urges NRC to Adopt Recommendation in SECY-92-140 & Approve Order.W/Certificate of Svc ML20096A5071992-05-0505 May 1992 Suppl to Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Supplements Joint Opposition Prior to Hearing.W/Certificate of Svc ML20095K8991992-04-29029 April 1992 Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Petitioners Urge Commission to Reject NRC Staff Proposal in SECY-92-140.W/Certificate of Svc ML20095H5611992-04-28028 April 1992 Affidavit of Lm Hill.* Affidavit of Lm Hill Supporting Util Position That Circumstances Exist Warranting Prompt NRC Action on NRC Recommendation That Immediately Effective Order Be Issued Approving Decommissioning Plan ML20094G3971992-02-26026 February 1992 Notice of State Taxpayer Complaint & Correction.* NRC Should Stay Hand in Approving Application for License Transfer as Matter of Comity Pending Resolution of Question as Util Continued Existence in Ny State Courts.W/Certificate of Svc ML20094G2261992-02-25025 February 1992 Petitioner Notice of Lilco/Long Island Power Authority Exaggeration & of Commencement of State Court Action.* NRC Should Await Ny State Decision Re Matter within Special Jurisdiction.W/Certificate of Svc ML20092K9021992-02-24024 February 1992 Petitioner Opposition to Ltr Request for Dismissal of Pages.* Suggests That Transfer of License Inappropriate at Present Time.W/Certificate of Svc ML20092K9511992-02-21021 February 1992 Response of Lilco & Long Island Power Authority to Petitioner Opposition to NRC Staff Recommendation for License Transfer Approval.* W/Certificate of Svc ML20092K8701992-02-20020 February 1992 Petitioners Opposition to NRC Staff Recommendation for Approval of License Transfer.* Urges Commission to Reject NRC Recommendation in SECY-92-041 & Remand Matter for Consideration in Normal Proceeding.W/Certificate of Svc ML20091E2661992-02-20020 February 1992 Petitioner Opposition to NRC Staff Motion to Dismiss.* Petitioners Urge NRC to Deny Staff Motion or Defer Action Until Petitioners Have Fully Developed Petitions & Supplied Detailed Contentions.W/Certificate of Svc ML20091E4011992-02-18018 February 1992 Answer of Long Island Power Authority to NRC Staff Motion to Dismiss Intervention Petitions.* Util Urges NRC to Grant Motion & Dismiss Intervention Petitions.W/Certificate of Svc ML20091E3161992-02-13013 February 1992 Lilco Response to NRC Staff Motion to Dismiss Intervention Petitions on Decommissioning Plan.* Requests That Petitions Be Struck & Petitioners Be Instructed of Possible Dismissal.W/Certificate of Svc ML20091E2741992-02-0606 February 1992 Answer of Long Island Power Authority to Intervention Petitions Concerning Shoreham Decommissioning Plan.* Requests That Petitions for Leave & Requests for Hearing Be Denied.W/Certificate of Svc & Notice of Appearance ML20092D2931992-02-0606 February 1992 Answer Denying Petitions for Leave to Intervene & Request for Prior Hearing Re Decommissioning ML20091E2941992-02-0606 February 1992 Lilco Opposition to Petitioner Request for Hearing on Shoreham Decommissioning Plan.* Informs That Util Opposes Both Requests for Hearing.W/Certificate of Svc ML20091E2831992-01-22022 January 1992 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition for Leave Be Granted & Hearing Held. W/Certificate of Svc & Notice of Appearance ML20091E2811992-01-22022 January 1992 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition Be Granted & Hearing Be Held.W/Certificate of Svc & Notice of Appearance ML20086T7231992-01-0303 January 1992 Motion of Long Island Power Authority for Leave to File Supplemental Matls.* Requests That Supplemental Memorandum & Supplemental Legislative History Matls Be Filed. W/Certificate of Svc ML20086T7541992-01-0303 January 1992 Memorandum of Long Island Power Authority Concerning Supplemental Legislative History Matls.* Supports Legislative History & Argues That License Not Subj to Termination Under Section 2828.W/Certificate of Svc ML20086Q9281991-12-30030 December 1991 Opposition of Util to Motion for Stay of License Transfer & to Suggestion of Mootness.* Concluded That Relief Sought in Petitioner Motion & Suggestion Should Be Denied. W/Certificate of Svc ML20086Q9171991-12-30030 December 1991 Lilco Opposition to Petitioners Request for Stay & Suggestion of Mootness.* Suggests That Stay Request & Suggestion of Mootness Be Denied.W/Certificate of Svc ML20091H8261991-12-19019 December 1991 Suggestion of Mootness Due to Long Island Power Authority Imminent Demise.* Concludes That If Commission Were to Transfer Shoreham Licenses to Lipa,Nrc Could Find Itself W/Class 103 Facility W/O Licensee.W/Certificate of Svc ML20091H8661991-12-18018 December 1991 Lilco Opposition to SE2 Appeal from LBP-91-26 & LBP-91-39. Concludes That Appeal Should Be Summarily Rejected or Be Denied on Merits.W/Certificate of Svc ML20086N1661991-12-17017 December 1991 Motion for Stay of License Transfer Pending Final Order on Petition to Intervene & Request for Hearing & for Addl or Alternative Stay.W/Certificate of Svc ML20086M0791991-12-16016 December 1991 Certificate of Svc.* Certifies Svc of Petitioner Notice of Appeal & Brief in Support of Appeal in Proceeding to Listed Individuals ML20086J6351991-12-0909 December 1991 Lilco Opposition to Petitioners Contentions on License Transfer Amend.* Concludes That License Transfer Amend Contentions Be Rejected & Petitioner Request to Intervene Denied.W/Certificate of Svc ML20086J3521991-12-0909 December 1991 Response of Long Island Power Authority to Petitioners Joint Supplemental Petition.* Board Should Dismiss Petitions to Intervene for Lack of Standing & Reject All Contentions Proffered by Petitioners.W/Certificate of Svc ML20094E1041991-12-0909 December 1991 Response to Long Island Power Authority to Petitioners Joint Supplemental Petition ML20091G1971991-12-0303 December 1991 Notice of Appeal.* Informs of Appeal of LBP-91-26 & LBP-91-39 in Facility possession-only License Proceeding ML20091G2051991-12-0303 December 1991 Brief in Support of Appeal.* Commission Should Consider Appeal on Basis That Findings of Matl of Facts Clearly Erroneous.W/Certificate of Svc ML20086C5471991-11-18018 November 1991 App to Joint Supplemental Petition of Shoreham-Wading River Central School District & Scientists/Engineers for Secure Energy,Inc.* ML20086C5381991-11-18018 November 1991 Petitioner Joint Supplemental Petition.* Petition Includes List of Contentions to Be Litigated in Hearing Re License Transfer Application.W/Certificate of Svc 1995-10-18
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. . . re ~ July 12, 1983 ,
i-UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION -
g BeforetheAtomicSafetyandLicensingBoard[ [ "j ,e In the Matter of ) s .
LONG ISLAND LIGHTING COMPANY ) Docket No. 502322 (OL)
) (Offsite Emergency Planning)
(Shoreham Nuclear Power Station, Unit 1) )
REPLY OF THE. CITIZENS FOR Alf ORDERLY ENERGY POLICY, INC. TO THE NUCLEAR REGULATORY COMMISSION STAFF RESPONSE TO PETITION TO INTERVENE On June 29, 1983, the Nuclear Regulatory Commission (NRC) staff filed its response to the petition to intervene filed by the Citizens for an Orderly Energy Policy, Inc. (Citizens). The NRC staff concluded that the Citizens' petition should not be -
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granted. Staf f Response at 1.1 In opposing Citizens' petition, the NRC staff asserted that: (1) no injury in fact has been demonstrated, (2) the interest asserted by Citizens is not cognizable under the Atomic
, Energy Act, and (3) that Citizens has not met the requirements for a late-file 6 petition. As is shown belo'w, each of these arguments
. is with,out merit. .
I.
, CITIZENSHASDEMONSTRATEDAPARTICULARIhEDINJURY
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Citizens agrees that a petitioner seeking to intervene in a licensing proceeding must demonstrate injury in f act. The NRC 1
The Long Island Lighting Company (LILCO), the applicant for an operating license in this proceeding, and Suffolk-County, an intervenor in this proceeding, did not oppose Citizens' petition.
Citizens has received no other res'ponses to its petition to intervene.
8307150308 830712 PDR ADOCK 05000322 b PDR &eO
staff, however, argues that Citizens' petition to intervene asserts no more than a mere generalized interest in the issue of nuclear poker. The staff has misread Citizens' petition.
Citizens, as an organization, does indeed have a general 4
interest in the promotion of nuclear power as an energy source. As was discussed in Citizens' petition, the organization was formed for the purpose of establishing,. coordinating, and implementing '
programs designed to promote the development of a rational energy-policy for Long Island. See Citizens' Petition at 4. The members of Citizens share this interest. The basis for Citizens ' standing to intervene in this proceeding, however, is not this general interest, but rather the specific injury the members of the organization will suffer should the Shoreham Nuclear Power Station not be allowed to operate. These specific injuries include the
- loss of an important and needed energy source, one which could.be
- repla cec', by a less clean or a less environmentally sound facility. A discussion of Citizens' potential injuries was presented in its petition. See Citizens,' Petition at 5-6.
The NRC staff also claims that proximity to a nuclear power plant demonstrates an " interest" only 'if one alleges he will
_ be injured by radiation released f' rom the facility. Staff Response at 5. The staff then' states that living within Elose proximity of a proposed facility does not, in and of itself, indicate that a
- failure to license the facility will cause one harm. _I d_. Citizens disagrees. One who litves near a proposed nuclear-facility can demonstrate the requisite interest by asserting a need and a desire i .
for clean, safe, and efficient energy sources in the vicinity. It is this interest which Citizens has asserted. See Citizens' Petition at 4-5. .
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THE PROMOTION OF NUCLEAR ENERGY IS COGNIZIBLE UNDER THE ATOMIC ENERGY ACT Although the NRC staff claims that Citizens has not
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demonstrated a particu1arized injury, it later asserts that Citizens' interest is not within the " zone of interests" created by the Atomic Energy Act. Staff Response at,6. The staff states that allegations of economic interest as ratepayers and property owners .
would not confer standing. Staff Retponse at 7.2 The interest asserted by Citizens, however, is not-economic, but rather that of having a nuclear power facility in the area to generate electricity. The promotion of nuclear energy as a power source is an interest cognizable under'the Atomic Energy Act. The congressional findings and purposes as stated in the Atomic Energy Act make it clear that Congress intended not only to regulate nuclear power for the public hehlth and safety but also to promote it as a power source. See 42 U.S.C...SS 2011-13. Contrary to the staff's positi6n, the Appea,1 Board has stated that avoidance
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of a th.reat to health and safety as a result of r'adiological releases 2
Again the NRC staff has misread Citizens' petition. Neither Citizens nor its members have asserted, for the purposes of standing to intervene in this proceeding, an interest' based on their ratepayer or property owner status. .
is only one of the interests encompassed by the Atomic Energy Act. See Virginia Electric Power Company (North Anna Power, Units 1 hnd 2), ALAB-342, 4 NRC 98, 105 (1976).
The staff agrees that if a petitioner supporting a nuclear power
- plant alleges a particularized harm stemming fr,om a failure to license a nuclear power plant and that the harm is within the zone of interests protected by the Atomic Endrgp Act, then that petitioner would have standing to intervene. Staff Response at 6 n.1. As discussed in its petition to intervene and above, Citizens has shown that it and its members would, in fact, be injured should the Shoreham Nuclear Power Station not be licensed to operate. This interest in having a nuclear power source available in the community for the generation of electricity is cognizable under the Atomic Energy Act. Consequently, Citizens has standing to intervene in this proceeding.3 III ,
CITIZENS' PETITION IS TIMELY
! The NRC staff argues that. Citizens' petition to intervene
- in this proceeding is untimely bec'ause the first. notice of 3
If it is determined, based on its petition and this reply, that Citizens has no standing to intervene, then no petitioner could ever demonstrate standing to intervene in a licensing proceeding in support of a nuclear facility. The staff states its belief that a petitioner in support of a plant could satisfy the standing requirement, yet the theories the staff uses operate strongly against this eventuality. There is no basis in the Atomic Energy Act or the regulations which justifies the one-sided intervention process advocated by the staff. -
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opportunity for a hearing on the application for an operating t
license for Shoreham was published in 1976. Staff Response at 7.4 Thb staff does acknowledge, however, that the order establishing the instant hearing regarding the adequacy of LILCO's emergency plan in the absence of participation by Suffolk County was issued on April 20, 1983.
The NRC staff. ignores Citizens' argument that because this special proceeding was established so recently, it could not have acted in a more expeditious fashion. Whi1s other intervenors may
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have indicated a desire to litigate emergency planning since the inception of the operating license proceeding, Citizens has not expressed a desire to litigate emergency planning contentions in general. Rather, Citizens wants to participate in the litigation of the issue of whether LILCO's plan, in light of Suffolk County's
, refusal to participate in the emergency ,-
planning process, is j
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adequate. The need to litigate this particular issue did not arise until late April, 1983. ~
Even if Citizens' petition to iptervene is considered to be a late-filed petition, Citizens has demonstrated that its petitioh should be granted based on the factors set forth in
_ 10 C.F.R S 2.714(a)(1). Although'the NRC staff-claims that the first factor of " good.cause" was not addressed, Citizens did specifically discuss this factor in its petition. See Citizens' Petition at 14. To paraphrase its earlier discussion, Citizens has shown good cause for not filing earlier for the simple reason that 4
LILCO and Suffolk County also allege toat Citizens' petition
- . was late-filed. -
the events leading up to this special emergency planning proceeding have only recently occurred. Moreover, the threat that the station may never be allowed to operate, because of Suffolk County's stance on emergency planning, has only recently come to light.
The four other factors should also be resolved in favor of 1
Citizens. As the NRC staff acknowledged, when a petition to j intervene has been filed late, the most important factor is whether
- the participation will broaden or delay the proceeding. Staff Response at 10, citing Detroit Edison Company (Greenwood Energy Center, Units 2 and 3), ALAB-476, 7 NRC 7'59, 761-62 (1978). In the Greenwood case, the Appeal Board found that the petitioner who filed late would not broaden or delay the proceeding, and that it 1
would be " patently inequitable" to bar its participation on the i
basis of lateness unless "the three other factors weigh heavily in j favor of rejecting the petition." Id. at 763. The staff did agree that the admission of Citizens as'an intervenor would not delay the proceeding. Staff Response at 10. -
The NRC staff also states that Citizens should provide "a bill of particulars" in support of its statement that it can
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Staff' Response at 9-10.
provide expertise in its proceeding'.
l _ While it is unclear as to what a " hill of particulars" consists of I
in this context, Citizens is unaware of any case'in which a potential intervenor was required to present such evidence. In fact, in the Greenwood case cited by the staff, the Appeal Board merely acknowledged that no " bill of particulars"-had been filed O
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in a dif ferent situation "ye Eightwel2
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and that have found that ..
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consideration dispositive." p~h0Vid tt[h < Licensing ,
.. 1 Botrd decide, however, that a " bill of particulars" should ,bg + -
provided, Citizens will do so. -
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Next, the NRC staff argues that LILCO will advocate its s'
plan to the fullest extent possible and therefore Citizens' position will not go unrepresented. Staff Response at 10. -As
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discussed in Citizens' petition, however, the utility does not have the same interest or perspective as does Citizens. See Citizens' Petition at 10-11. With respect to other~means which may exist for Citizens to protect its interest, the staff suggests that Citizens can argue its position on Shoreham offsite emergency planning directly to the Suffolk County government., Staf f Response at 10.
Citizens has taken this approach-in the past to no avail. It therefore seeks to take the next step and to argue its position before the Licensing Board.
On balance then, if its petition is considered late, Citizens can demonstrate that it meets the requirements set forth for late intervention. It has demonstrated good cause for not filing it an earlier time, the absence of ot'h'er means whereby the
_ petitioner's interest will be prot'ected, the ability of petitioner to assist in developing a sound record, the abseice of other
- parties to further petitioner's interest, and the willingness of petitioner to "take this proceeding as it finds it." See 10 C.F.R.
l S 2.714(a)(1) and Petition at 13-14.
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IV CITIZENS' CONTENTIONS ARE WITHIN THE SCOPE OF THIS PROCEEDING The NRC staff states that the Appeal Board has ruled that a petitioner in support of a license' application can fulfill the contention requirement by merely asserting that the application is meritorious and should be granted, and later taking a position on the contentions posed by intervenors opposing the operation of the facility. Staff Response at 13. While this approach in no way challenges its position on intervention and is generally satisf actory, Citizens is willing and able to draf t and litigate specific contentions.
With respect to this proposal, however, Citizens notes that in setting forth this scheme, the Appsal Board was speaking hypothetically and stated only in dicta _ its belief that if a
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petitioner who supports the license-application were permitted to intervene, that petitioner could be allowed to merely take a position on contentions filed by other parties. Nuclear Energy Company (Sheffield, Illinois, Low-Level Radioactive Waste Disposal Site), ALAB-473, 7 NRC 737, 743 n.5 (1978). Citizens also notes that the intervention' regulations ,which outline the one admissibic
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, contentionrequirementdonotdifferentiatebetwdenpartieswhich support and partier which oppose a facility. See 10 CFR S 2.714(b).
The contentions which Citizens has drafted, contrary to the staff's position (Staf f Response at 13 n. 3), are admissible in !
. . l this proceeding. Citizens' Contention No. 1 primarily deals with I the adequacy _of a ten-mile emergency planning zone. The definition
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of an emerge ~ncy planning zone is set forth in 1G C.F.R. S 50.47(c)(2).
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That regula(ion states that the emergency planning zone is " generally" ten miles in radius but can be modified on a case-by-case basis.
In'this contention, Citizens is merely arguing that the ten-mile emergency planning zone established by LILCO is adequate. This contention is not a challenge to the regulations. Similarly, Contention No. 2 challenges neither the adequacy of the source term nor the regulations. Bather, C1.tizens would attempt to show that '
i by having a plan which assumes a particular source term, the public is well protected because the source tenn is quite conservative, i.e., the emergency plan which assumes th's i conservative source term is more than adequate to protect the public health and safety.
Contention No. 3 does not attempt to litigate the adequacy of Suffolk County's civil defense plan. The purpose of this contention is to challenge Suffolk County's erroneous conclusion that no radiological emergency plan can be prepared. Whether the civil defense plan is adequate in the event of an attack is indeed outside the scope of this proceeding, but is not the substance of Contention No. 3. .
Finally, NRC argues that Contention Nos. 4 and 5 are "covereo by Suffolk County's contentions." Response at 13 n.3.
_ Citizens.is at a loss to see how i'ts contentions,. which support the s -
, emergency plan, and Sdffolk County's contentions 7 which seek to impugn the plan, can be considered as one. In essence, Citizens' I
contentions challenge the basis for Suffolk County's contentions l
and as such must be considered apart from Suffolk-County's allegations.
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For the reasons stated in its petition to intervene filed lon June 14, 1983, and in this reply, Citizens rerpectfully requests thht its petition to intervene be granted and that it be admitted as a party in this special proceeding to litigate the adequacy of LILCO's emergency plan.
DATED: July 12, 1983.
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. Respectfully submitted, '
RONALD A. ZUMBRUN
-SAM KAZMAN LUCINDA LOW SWARTZ Pacific, Legal Foundation 1990 M Street, N.W., Suite 550 Washington, D. C. 20036 Telephone: (202) 466-2686 f 'By M g d 7g l LUCINDA LOW SWARTZ Attorneys for Citizens for an _
Orderly Energy Policy, Inc.
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UNITED STATES OF AMERICA 33 g NUCLEAR REGULATORY COMMISSION J' 3 gg3 ,, f
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Before the Atomic Safety and Licensing Board L 9"-
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In the Matter of '
)
)
.LONG ISLAND LIGHTING COMPANY ) Docket No. 50-322 (OL)
) (Offsite Emergency Planning)
(Shoreham Nuclear Power Station, Unit 1) )
_ CERTIFICATE OF SERVICE ,
I hereby certify that copies of the " Reply of the Citizens for an Orderly Energy Policy, Inc. to the~ Nuclear Regulatory Commission Staff Response to Petition to Intervene" were served upon the following by first-class mail on July 11, 1983, or as indicated by an asterisk, by hand ' delivery on July 12, 1983:
James A. Laurenson, David J. Gilmartin, Esq.
Chairman Attn: Patricia A. Dempsey , Esq.
Atomic Safety and County Attorney Licensing Board Suffolk County Department United States Nuclear ~
of Law Regulatory Commission Veterans Memorial Highway Washington, D.C. 20555 Hauppauge, New York 11787 Dr. Jerry R. Kline Edwin J. Reis, Esq.
Atomic Safety and Bernard M. Bordenick, Esq.
Licensing Board David A. Repka, Esq.
United States Nuclear United States Nuclear Regulatory Commission Regulatory Commission Washington, D. C . 20555 Washington, D.C. 20555 Dr. M. Stanley Livingston , James Dougherty, Esq.
- Atomic Safety and 3045 Porter G'reet
( Licensing Board, Washington,_ y,C. 20008 United States Nuclear Regulatory Commission Washington, D.C. 20555 Secretary of the Commission Ralph Shapiro, Esq.
United States Nuclear .
Cammer and Shapiro, P. C.
Regulatory Commission 9 East 4 0th Street Washington, D.C. 20555 New York, New. York 10016 e
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f Atomic Safety and Licensing Atomic Safety and Licensing Appeal Board Panel Board Panel United States Nuclear United States Nuclear Regulatory Commission Regulatory Commission
Mr. Jay Dunkleberger Hunton & Williams New York State Energy Office 707 East Main Street Agency Building 2 P.O. Box 1535 Empire State Plaza Richmond, Virginia 23212 Albany, New York 12223 Herbert H. Brown, Esq. , Mr. Marc W. Goldsmith
- Lawrence Coe Lanph5r, Esq. s Energy Re~.earch Group Christopher McMurray, Esq. 4001 Totten Pond Road Kirkpatrick, Lockhart, Hill, Waltham, Massachusetts 02154 Christopher & Phillips - -
8th Floor Howard L. Blau 1900 M Street, N.W. 217'Newbridge Road Washington, D. C . 20036 Hicksville, New York 11801 Stephen B. Latham, Esq. Jonathan D. Feinberg, Esq.
Twomey, Latham & Shea New York State 33 West Second Street Department of Public Service P.O. Box 398 Three Empire State Plaza Riverhead, New York 10901 Albany, New York 12223 Stewart Glass, Esq. Spence- Perry , Esq.
Regional Counsel Associate General Counsel Federal ~ Emergency -
- Federal Emergency Management Agency Management Agency 26 Federal Plaza, Room 1349 Washington, D. C . 20472 New York, New York 10278 -
MHB Technical Associates 1723 Hamilton Avenue '
Suite K San Jose, California 95125 4
. Alif (S NA2
'LUCINDA LOW SWARTZ
' July 11, 1983 e .
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