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Category:INTERVENTION PETITIONS
MONTHYEARML20247B3941989-07-13013 July 1989 NRC Staff Response to Rl Anthony Request for Hearing & for Intervention.* Commission Should Deny Anthony Request Due to Anthony Interest Not within Scope of Remand.W/Certificate of Svc ML20246P0581989-07-0707 July 1989 Answer by Philadelphia Electric Co to Request by Rl Anthony for Hearing & Admission as Intervenor.* Anthony Not Entitled to New Hearing on Emergency Plannning or Other Safety Issues & Request Should Be Denied.W/Certificate of Svc ML20245J3681989-06-23023 June 1989 Request by Intervenor Rl Anthony to Be Continued as Intervenor in Licensing Process for Unit 2 & for Hearing Under 42 ESC Section 2239(a) as Affected Person,Endangered by Philadelphia Electric Failure to Satisfy Plant....* ML20235B4271987-09-16016 September 1987 Response of NRC Staff to Proposed Contentions of Air & Water Pollution Patrol & Rl Anthony.* Board Should Deny Requests That Hearing Be Held in Connection W/Proposed Amend. Certificate of Svc Encl ML20238F1771987-09-11011 September 1987 Licensee Answer to Contentions Proposed by Intervenors Air & Water Pollution Patrol & Rl Anthony.* Air & Water Pollution Patrol & Rl Anthony Failed to Plead Single Admissible Contention.W/Certificate of Svc ML20214N1231987-05-22022 May 1987 Licensee Answer in Opposition to Petition by Rl Anthony for Leave to Intervene and for Hearing.* Petition Deficient Under Rules for Intervention.Certificate of Svc Encl ML20214N2251987-05-20020 May 1987 Licensee Answer in Opposition to Request for Hearing & Leave to Intervene by Air & Water Pollution Patrol.* Supporting Info Encl.Certificate of Svc & Notices of Appearance Encl ML20214A9301987-05-14014 May 1987 Licensee Opposition to Petition by Graterford Inmates for Review of ALAB-863.* Review Opposed on Grounds That Inmate Petition Failed to Show ALAB-863 Erroneous or Justify Claims of Prejudice.Certificate of Svc Encl ML20214M7331986-09-0404 September 1986 Petition of Air & Water Pollution Patrol for Leave to Intervene Opposing Applicant 860819 Application for Amend to License NPF-39.NRC Address List Encl ML20212N2871986-08-25025 August 1986 Petition of Rl Anthony for Leave to Intervene & Request for Hearing ML20210N4841986-04-29029 April 1986 Petition for Reconsideration of 860227 Petition to Suspend License NPF-39 Due to Faulty Referral to Director of NRR, Inappropriate Response & Restating of Petition Under 10CFR50.100 & 10CFR2.201(c) ML20154R5151986-03-26026 March 1986 Answer Opposing Rl Anthony 860226 Contention Suppls on Amends 1 & 2 to License NPF-39 Due to Failure to Satisfy or Discuss Lateness Criteria & Lack of Standing ML20154R5261986-03-26026 March 1986 Answer Opposing Fr Romano 860319 Late Filed Suppl in Response to Notice of Opportunity to Request Hearing on Proposed Amend 1 to License NPF-39.Romano Failed to Plead Admissible Contention.Certificate of Svc Encl ML20210E1911986-03-19019 March 1986 Suppl to 860215 Petition for Leave to Intervene on 860130 & 0205 Requests & Provides List of Contentions Vs Amend to License NPF-39 ML20138A8931986-03-17017 March 1986 Response Opposing Petition of Air & Water Pollution Patrol for Leave to Intervene & Request for Hearing Re Amend 1 to License NPF-39.W/Certificate of Svc ML20138A9081986-03-17017 March 1986 Response Opposing Rl Anthony 860215 Contentions Re Util Request for Amend 1 to License NPF-39,extending 18-month Surveillance Interval by 14 Wks Beyond Max 25% Extension Allowed by Tech Specs.W/Certificate of Svc ML20138A9511986-03-17017 March 1986 Response Opposing Rl Anthony Contentions Re OL Amend. Contentions Lack Requisite Specificity & Bases Under 10CFR2.714(b).Notice of Appearance & Certificate of Svc Encl ML20138A8851986-03-13013 March 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing ML20141N1611986-02-26026 February 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing in Opposition to Util Request to Amend Tech Specs 4.6.1.2.d & 4.6.1.2.g to License NPF-39 ML20205K5471986-02-25025 February 1986 Response Opposing Rl Anthony/Friends of the Earth 860205 Petition to Intervene & Request for Hearing Re 851218 Proposed Schedular Amend from Testing Certain Excess Flow Check Valves for 14-wk Period.Certificate of Svc Encl ML20141N1371986-02-24024 February 1986 Petition of Air & Water Pollution Patrol for Leave to Intervene & Request for Hearing ML20214C9141986-02-19019 February 1986 Answer Opposing 860130 late-filed Petition for Leave to Intervene & Request for Hearing by Rl Anthony.Certificate of Svc Encl ML20154D5771986-02-15015 February 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing ML20141M8271986-02-12012 February 1986 Petition of Rl Anthony & Friends of the Earth for Hearing & Immediate Stay on Effectiveness & Implementation of Amend 1 to License NPF-39.Util Should Be Required to Suspend Operations on Deadline Until Tests Performed ML20151Y7851986-02-10010 February 1986 Opposition to 860126 Petition by Friends of the Earth for Review of ALAB-828.Intervenor Has Shown No Issue of Fact,Law or Policy Which NRC Should Review.Certificate of Svc Encl ML20151T9881986-02-0505 February 1986 Amend to 860130 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing.Extension of 96 Days for Testing Instrumentation Lines Vital to Safe Operation & Shutdown Requested.W/Certificate of Svc ML20094A2831984-11-0202 November 1984 Answer to Intervenor Del-Aware Unlimited,Inc,Revised Contentions V-14 & V-16.Proposed Contentions Should Be Denied & Del-Aware Dismissed as Party.Certificate of Svc Encl ML20094A8691984-10-23023 October 1984 Appeal from Second Partial Initial decision,LPB-84-31 & ASLB 840901 Motion to Set Aside & Reopen Contentions V-3a & 3B & Petition for Stay ML20106C5081984-10-19019 October 1984 Revised Contentions 14 & 16 Re Destruction of Eligible Natl Historic District of Point Pleasant & Adverse Effect on Salinity Levels & Water Quality in Delaware River, Respectively.Certificate of Svc Encl ML20093F0851984-10-0909 October 1984 Response to Limerick Ecology Action Refiled Deferred Offsite Emergency Planning Contentions.Certificate of Svc Encl ML20093D6331984-10-0909 October 1984 Answer Opposing Limerick Ecology Action (Lea) Deferred Offsite Emergency Planning Contentions.Lea Respecified Contentions Should Be Denied.Certificate of Svc Encl ML20093C0991984-10-0101 October 1984 Respec of Offsite Emergency Planning Contentions.Certificate of Svc Encl ML20097C5551984-09-13013 September 1984 Answer Opposing Limerick Ecology Action (Lea) 840906 Respecification of Offsite Emergency Planning Contentions. ASLB Should Dismiss Any Contentions for Which Lea Fails to Proffer Direct Testimony.Certificate of Svc Encl ML20096A7221984-08-29029 August 1984 Response Opposing Air & Water Pollution Patrol 840814 Pleading on Reopening Contention VI-1 Re Welding & Welding Insp Infractions.Certificate of Svc Encl ML20095E4271984-08-21021 August 1984 Answer Opposing late-filed Air & Water Pollution Patrol 840808 New Contention Re Evacuation.Contention Lacks Basis & Specificity & Fails to Show Good Cause for Late Filing. Certificate of Svc Encl ML20095E4401984-08-20020 August 1984 Provides Addendum to Air & Water Pollution Patrol 840816 New Info Contention Re Polyvinyl Chloride.Fifth Criterion Re Breakdown of Polyvinyl Chloride Inadvertantly Omitted.Small Delay in Proceedings Ack for Large Public Good ML20095C0251984-08-16016 August 1984 New Info Contention Re Health Hazard Via Polyvinyl Chloride Fill Used in Reactor Cooling Towers.W/Svc List ML20094K0871984-08-0909 August 1984 Reply to Applicant & Staff Answers to Cepa Safety Contentions.Contentions Should Be Admitted.Certificate of Svc Encl ML20094J7761984-08-0808 August 1984 New Contention That Applicant Must Provide Fully Testable & Capable Emergency Evacuation Plan Prior to Receipt of OL ML20093N2651984-07-27027 July 1984 Answer to Consumer Educ & Protective Assoc 840717 Safety Contentions.Contentions Lack Basis,Concern Ratemaking Matters Outside NRC Jurisdiction & Should Be Denied. Certificate of Svc Encl ML20093E4241984-07-16016 July 1984 Safety Contentions Re Util Inability to Conduct Full & Safe Test Procedures.Certificate of Svc Encl ML20090A6751984-07-10010 July 1984 Answer to New Proposed Contention by Air & Water Pollution Patrol Re Gross Alpha.Certificate of Svc Encl ML20092N1501984-06-26026 June 1984 New Contention That EPA Max Containment Levels for Gross alpha,Ra-226 & Ra-228 Inadequately Verified by Applicant & Nrc.W/Svc List ML20092P7701984-06-19019 June 1984 Motion Opposing Util 840509 Motion for Expedited Partial Decision & Low Power License.Util & NRC Should Certify That All Nonconformance Items & Open Insp Items Corrected & Complete Before Nuclear Fuel Moved Onsite ML20092P7721984-06-18018 June 1984 Motion for Admission of Contentions Based on JW Gallagher & Js Kemper Requesting Remaining Portion of License to Move Fuel to Refueling Floor,Insp & Storage of Fuel & Petition for Stay ML20091R4601984-06-13013 June 1984 Answer Opposing Friends of the Earth 840518 Supplemental Motion for Admission of New,Late Contentions Re Applicant Motion for Expedited Partial Initial Decision & Issuance of Low Power License.Certificate of Svc Encl ML20091C9221984-05-29029 May 1984 Response Opposing Petition by Citizen Action in the Northeast for Late Intervention & Admission of Financial Qualifications Contention.Contentions Lack Requisite Bases & Specificity.Certificate of Svc Encl ML20087M8061984-03-30030 March 1984 New Addition to Contention Re Asbestos Fiber Discharges Into Schuylkill River & Air.Discharge Not Identified Nor Included in Plant Operation Discharge Descriptions.W/Svc List ML20087M6381984-03-28028 March 1984 Response Opposing M Lewis 840314 Motion for New Contention Based on IE Info Notice 84-17 Cooling of Vital Components by Liquid Nitrogen.Certificate of Svc Encl ML20087K8651984-03-23023 March 1984 Motion to Dismiss Particular Onsite Emergency Planning Contentions for Which Discovery Not Provided or No Litigable Basis Shown.Certificate of Svc Encl 1989-07-07
[Table view] Category:RESPONSES & CONTENTIONS
MONTHYEARML20247B3941989-07-13013 July 1989 NRC Staff Response to Rl Anthony Request for Hearing & for Intervention.* Commission Should Deny Anthony Request Due to Anthony Interest Not within Scope of Remand.W/Certificate of Svc ML20246P0581989-07-0707 July 1989 Answer by Philadelphia Electric Co to Request by Rl Anthony for Hearing & Admission as Intervenor.* Anthony Not Entitled to New Hearing on Emergency Plannning or Other Safety Issues & Request Should Be Denied.W/Certificate of Svc ML20245J3681989-06-23023 June 1989 Request by Intervenor Rl Anthony to Be Continued as Intervenor in Licensing Process for Unit 2 & for Hearing Under 42 ESC Section 2239(a) as Affected Person,Endangered by Philadelphia Electric Failure to Satisfy Plant....* ML20235B4271987-09-16016 September 1987 Response of NRC Staff to Proposed Contentions of Air & Water Pollution Patrol & Rl Anthony.* Board Should Deny Requests That Hearing Be Held in Connection W/Proposed Amend. Certificate of Svc Encl ML20238F1771987-09-11011 September 1987 Licensee Answer to Contentions Proposed by Intervenors Air & Water Pollution Patrol & Rl Anthony.* Air & Water Pollution Patrol & Rl Anthony Failed to Plead Single Admissible Contention.W/Certificate of Svc ML20214N1231987-05-22022 May 1987 Licensee Answer in Opposition to Petition by Rl Anthony for Leave to Intervene and for Hearing.* Petition Deficient Under Rules for Intervention.Certificate of Svc Encl ML20214N2251987-05-20020 May 1987 Licensee Answer in Opposition to Request for Hearing & Leave to Intervene by Air & Water Pollution Patrol.* Supporting Info Encl.Certificate of Svc & Notices of Appearance Encl ML20214A9301987-05-14014 May 1987 Licensee Opposition to Petition by Graterford Inmates for Review of ALAB-863.* Review Opposed on Grounds That Inmate Petition Failed to Show ALAB-863 Erroneous or Justify Claims of Prejudice.Certificate of Svc Encl ML20214M7331986-09-0404 September 1986 Petition of Air & Water Pollution Patrol for Leave to Intervene Opposing Applicant 860819 Application for Amend to License NPF-39.NRC Address List Encl ML20212N2871986-08-25025 August 1986 Petition of Rl Anthony for Leave to Intervene & Request for Hearing ML20210N4841986-04-29029 April 1986 Petition for Reconsideration of 860227 Petition to Suspend License NPF-39 Due to Faulty Referral to Director of NRR, Inappropriate Response & Restating of Petition Under 10CFR50.100 & 10CFR2.201(c) ML20154R5151986-03-26026 March 1986 Answer Opposing Rl Anthony 860226 Contention Suppls on Amends 1 & 2 to License NPF-39 Due to Failure to Satisfy or Discuss Lateness Criteria & Lack of Standing ML20154R5261986-03-26026 March 1986 Answer Opposing Fr Romano 860319 Late Filed Suppl in Response to Notice of Opportunity to Request Hearing on Proposed Amend 1 to License NPF-39.Romano Failed to Plead Admissible Contention.Certificate of Svc Encl ML20210E1911986-03-19019 March 1986 Suppl to 860215 Petition for Leave to Intervene on 860130 & 0205 Requests & Provides List of Contentions Vs Amend to License NPF-39 ML20138A8931986-03-17017 March 1986 Response Opposing Petition of Air & Water Pollution Patrol for Leave to Intervene & Request for Hearing Re Amend 1 to License NPF-39.W/Certificate of Svc ML20138A9081986-03-17017 March 1986 Response Opposing Rl Anthony 860215 Contentions Re Util Request for Amend 1 to License NPF-39,extending 18-month Surveillance Interval by 14 Wks Beyond Max 25% Extension Allowed by Tech Specs.W/Certificate of Svc ML20138A9511986-03-17017 March 1986 Response Opposing Rl Anthony Contentions Re OL Amend. Contentions Lack Requisite Specificity & Bases Under 10CFR2.714(b).Notice of Appearance & Certificate of Svc Encl ML20138A8851986-03-13013 March 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing ML20141N1611986-02-26026 February 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing in Opposition to Util Request to Amend Tech Specs 4.6.1.2.d & 4.6.1.2.g to License NPF-39 ML20205K5471986-02-25025 February 1986 Response Opposing Rl Anthony/Friends of the Earth 860205 Petition to Intervene & Request for Hearing Re 851218 Proposed Schedular Amend from Testing Certain Excess Flow Check Valves for 14-wk Period.Certificate of Svc Encl ML20141N1371986-02-24024 February 1986 Petition of Air & Water Pollution Patrol for Leave to Intervene & Request for Hearing ML20214C9141986-02-19019 February 1986 Answer Opposing 860130 late-filed Petition for Leave to Intervene & Request for Hearing by Rl Anthony.Certificate of Svc Encl ML20154D5771986-02-15015 February 1986 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing ML20141M8271986-02-12012 February 1986 Petition of Rl Anthony & Friends of the Earth for Hearing & Immediate Stay on Effectiveness & Implementation of Amend 1 to License NPF-39.Util Should Be Required to Suspend Operations on Deadline Until Tests Performed ML20151Y7851986-02-10010 February 1986 Opposition to 860126 Petition by Friends of the Earth for Review of ALAB-828.Intervenor Has Shown No Issue of Fact,Law or Policy Which NRC Should Review.Certificate of Svc Encl ML20151T9881986-02-0505 February 1986 Amend to 860130 Petition of Rl Anthony & Friends of the Earth for Leave to Intervene & Request for Hearing.Extension of 96 Days for Testing Instrumentation Lines Vital to Safe Operation & Shutdown Requested.W/Certificate of Svc ML20094A2831984-11-0202 November 1984 Answer to Intervenor Del-Aware Unlimited,Inc,Revised Contentions V-14 & V-16.Proposed Contentions Should Be Denied & Del-Aware Dismissed as Party.Certificate of Svc Encl ML20094A8691984-10-23023 October 1984 Appeal from Second Partial Initial decision,LPB-84-31 & ASLB 840901 Motion to Set Aside & Reopen Contentions V-3a & 3B & Petition for Stay ML20106C5081984-10-19019 October 1984 Revised Contentions 14 & 16 Re Destruction of Eligible Natl Historic District of Point Pleasant & Adverse Effect on Salinity Levels & Water Quality in Delaware River, Respectively.Certificate of Svc Encl ML20093F0851984-10-0909 October 1984 Response to Limerick Ecology Action Refiled Deferred Offsite Emergency Planning Contentions.Certificate of Svc Encl ML20093D6331984-10-0909 October 1984 Answer Opposing Limerick Ecology Action (Lea) Deferred Offsite Emergency Planning Contentions.Lea Respecified Contentions Should Be Denied.Certificate of Svc Encl ML20093C0991984-10-0101 October 1984 Respec of Offsite Emergency Planning Contentions.Certificate of Svc Encl ML20097C5551984-09-13013 September 1984 Answer Opposing Limerick Ecology Action (Lea) 840906 Respecification of Offsite Emergency Planning Contentions. ASLB Should Dismiss Any Contentions for Which Lea Fails to Proffer Direct Testimony.Certificate of Svc Encl ML20096A7221984-08-29029 August 1984 Response Opposing Air & Water Pollution Patrol 840814 Pleading on Reopening Contention VI-1 Re Welding & Welding Insp Infractions.Certificate of Svc Encl ML20095E4271984-08-21021 August 1984 Answer Opposing late-filed Air & Water Pollution Patrol 840808 New Contention Re Evacuation.Contention Lacks Basis & Specificity & Fails to Show Good Cause for Late Filing. Certificate of Svc Encl ML20095E4401984-08-20020 August 1984 Provides Addendum to Air & Water Pollution Patrol 840816 New Info Contention Re Polyvinyl Chloride.Fifth Criterion Re Breakdown of Polyvinyl Chloride Inadvertantly Omitted.Small Delay in Proceedings Ack for Large Public Good ML20095C0251984-08-16016 August 1984 New Info Contention Re Health Hazard Via Polyvinyl Chloride Fill Used in Reactor Cooling Towers.W/Svc List ML20094K0871984-08-0909 August 1984 Reply to Applicant & Staff Answers to Cepa Safety Contentions.Contentions Should Be Admitted.Certificate of Svc Encl ML20094J7761984-08-0808 August 1984 New Contention That Applicant Must Provide Fully Testable & Capable Emergency Evacuation Plan Prior to Receipt of OL ML20093N2651984-07-27027 July 1984 Answer to Consumer Educ & Protective Assoc 840717 Safety Contentions.Contentions Lack Basis,Concern Ratemaking Matters Outside NRC Jurisdiction & Should Be Denied. Certificate of Svc Encl ML20093E4241984-07-16016 July 1984 Safety Contentions Re Util Inability to Conduct Full & Safe Test Procedures.Certificate of Svc Encl ML20090A6751984-07-10010 July 1984 Answer to New Proposed Contention by Air & Water Pollution Patrol Re Gross Alpha.Certificate of Svc Encl ML20092N1501984-06-26026 June 1984 New Contention That EPA Max Containment Levels for Gross alpha,Ra-226 & Ra-228 Inadequately Verified by Applicant & Nrc.W/Svc List ML20092P7701984-06-19019 June 1984 Motion Opposing Util 840509 Motion for Expedited Partial Decision & Low Power License.Util & NRC Should Certify That All Nonconformance Items & Open Insp Items Corrected & Complete Before Nuclear Fuel Moved Onsite ML20092P7721984-06-18018 June 1984 Motion for Admission of Contentions Based on JW Gallagher & Js Kemper Requesting Remaining Portion of License to Move Fuel to Refueling Floor,Insp & Storage of Fuel & Petition for Stay ML20091R4601984-06-13013 June 1984 Answer Opposing Friends of the Earth 840518 Supplemental Motion for Admission of New,Late Contentions Re Applicant Motion for Expedited Partial Initial Decision & Issuance of Low Power License.Certificate of Svc Encl ML20091C9221984-05-29029 May 1984 Response Opposing Petition by Citizen Action in the Northeast for Late Intervention & Admission of Financial Qualifications Contention.Contentions Lack Requisite Bases & Specificity.Certificate of Svc Encl ML20087M8061984-03-30030 March 1984 New Addition to Contention Re Asbestos Fiber Discharges Into Schuylkill River & Air.Discharge Not Identified Nor Included in Plant Operation Discharge Descriptions.W/Svc List ML20087M6381984-03-28028 March 1984 Response Opposing M Lewis 840314 Motion for New Contention Based on IE Info Notice 84-17 Cooling of Vital Components by Liquid Nitrogen.Certificate of Svc Encl ML20087K8651984-03-23023 March 1984 Motion to Dismiss Particular Onsite Emergency Planning Contentions for Which Discovery Not Provided or No Litigable Basis Shown.Certificate of Svc Encl 1989-07-07
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20151L3671997-08-0505 August 1997 Order Prohibiting Involvement in NRC Licensed Activities (Effective Immediately).Orders That SA Blacklock Prohibited from Engaging in Activities Licensed by NRC for 5 Yrs from Date of Order ML20151L5181997-08-0505 August 1997 Order Prohibiting Involvement in NRC Licensed Activities (Effective Immediately) Re SL Nevin Deliberately Falsifying Records of RECW Sample Documentation on 960207 ML20203H6891997-06-0202 June 1997 Transcript of 970602 Enforcement Conference in King of Prussia,Pa ML20083N3971995-04-26026 April 1995 Comment Supporting Proposed GL, Pressure Locking & Thermal Binding of Safety-Related Power-Operated Gate Valves ML20081B3811995-03-0101 March 1995 Comment Supporting Proposed Suppl 5 to GL 88-20, IPEEE for Severe Accident Vulnerabilities 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 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 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 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 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 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 ML20045D8121993-06-14014 June 1993 Comment Supporting Proposed Rules 10CFR50 & 54 Re FSAR Update Submittals. ML20126F2721992-12-21021 December 1992 Comment Endorsing Positions & Comments of NUMARC & BWROG Re Draft GL, Augmented Inservice Insp Requirments for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20062C6561990-10-22022 October 1990 Affidavit Requesting Withholding of Summary Rept on Evaluation of Recirculation Nozzle to Safe End Weld Indication & Proposed Disposition to Permit Unit 1 Cycle 4 Operation, from Public Disclosure,Per 10CFR2.790 ML20246J4521989-08-30030 August 1989 Memorandum & Order (Terminating Proceeding).* Terminates Proceeding Per Settlement Agreement Between Limerick Ecology Action,Inc & Licensee.W/Certificate of Svc.Served on 890831 ML20246F1471989-08-25025 August 1989 Settlement Agreement.* Certificate of Svc Encl ML20246F1011989-08-25025 August 1989 Joint Motion for Termination of Proceedings.* Board Moved to Accept Encl Settlement Agreement,Dismiss Limerick Ecology Action,Inc (Lea) Contention W/Prejudice,Dismiss Lea as Party to Proceeding & Terminate Proceeding ML20246F0121989-08-25025 August 1989 Memorandum & Order CLI-89-17.* Staff Authorizes Issuance of Full Power License to Licensee to Operate Unit 2 After Requisite Safety Findings Under 10CFR50.57 Completed. W/Certificate of Svc ML20246E3431989-08-22022 August 1989 Opposition of Intervenor Limerick Ecology Action,Inc to Motion by Licensee Philadelphia Electric Co to Set Schedule for Discovery & Hearing.* Requests That Schedule Be Replaced W/More Reasonable Schedule,As Proposed.W/Certificate of Svc ML20246C0271989-08-18018 August 1989 Notice of Appointment of Adjudicatory Employee.* Informs That D Nash Appointed as Commission Adjudicatory Employee to Advise Commission on Issues in Proceeding.W/Certificate of Svc.Served on 890818 ML20246B7721989-08-17017 August 1989 Correction of Memorandum & Order of 890815.* Advises That Refs to 49CFR2.730(c) on Page 1 & 49CFR2.710 & 49CFR2.711 on Page 2 Should Be Corrected to Read as 10CFR2.730(c),2.710 & 2.711,respectively.W/Certificate of Svc.Served on 890818 ML20246D7411989-08-17017 August 1989 Transcript of 890817 Meeting in Rockville,Md Re Discussion of Full Power OL for Facility.Pp 1-58.Supporting Documentation Encl ML20246B7571989-08-16016 August 1989 Order Responding to Limerick Ecology Action Motion for Reconsideration.* Denies Motion to Reconsider,Stay,Suspend or Revoke 890707 Order on Basis That Order Appropriate.W/ Certificate of Svc.Served on 890816.Re-served on 890818 ML20246B7751989-08-16016 August 1989 Memorandum & Order.* Denies Rl Anthony 890623 Request for Hearing for Intervention in Remand Proceeding & for Stay of Low Power Authorization.W/Certificate of Svc.Served on 890816 ML20246B7931989-08-15015 August 1989 Memorandum & Order (Request for Expedited Answer).* Denies Licensee 890811 Request for Expedited Answer from NRC & Limerick Ecology Action on Basis That Request Lacks Good Cause.W/Certificate of Svc.Served on 890816 ML20245H8061989-08-14014 August 1989 Supplemental Response of Intervenor Limerick Ecology Action, Inc to Memorandum & Order of Commission & to Memorandum & Order of 890807.* Requests Further Extension of Time in Which to Reply.Certificate of Svc Encl ML20245H8491989-08-14014 August 1989 Notice of Change of Address.* Advises of Council Change of Address for Svc of Documents ML20245H5991989-08-11011 August 1989 Memorandum & Order (Terminating Proceeding).* Dismisses Graterford Inmates Contention Re Adequacy of Training for Drivers Responsible for Evacuating Graterford & Terminates Proceeding.Certificate of Svc Encl.Served on 890814 ML20245H7341989-08-10010 August 1989 Motion by Licensee Philadelphia Electric Co to Set Schedule for Discovery & Hearing & Request for Expedited Answer to This Motion.* Divergence in Positions of Respective Parties Emphasizes Need to Conclude Proceeding.W/Certificate of Svc ML20245F7511989-08-0909 August 1989 Reply by Licensee Philadelphia Electric Co to NRC Staff Response to Commission Questions.* Commission Should Rely on Licensee Cost Analysis in Response to Question 5 & Rc Williams Affidavit.W/Certificate of Svc ML20245F7341989-08-0909 August 1989 NRC Staff Response to Commission Memorandum & Order of 890807.* Advises That NRC Will Provide Comments on Limerick Ecology Action 890814 Filing Prior to Commission Meeting Scheduled for 890817.W/Certificate of Svc ML20245F7161989-08-0909 August 1989 Reply by Licensee Philadelphia Electric Co to Response of Intervenor Limerick Ecology Action,Inc to Memorandum & Order of Commission Dtd 890726.* Environ Benefits for Operating Unit 2 Outweigh Small Risk of Severe Accident ML20245F7291989-08-0808 August 1989 Affidavit.* Discusses Costs Incurred While Plant Inoperable. Allowance for Funds Used During Const,Security,Maint & Operational Costs Considered Proper for Calculating Costs for Delay ML20248D9241989-08-0707 August 1989 Memorandum & Order.* Extends Limerick Ecology Action Response Deadline to 890814 to Respond to Five Questions Re Severe Accident Mitigation Design Alternatives.W/Certificate of Svc.Served on 890807 ML20248D7871989-08-0303 August 1989 Correction for NRC Staff Response to Commission Questions.* Forwards Corrected Page 5 to NRC Response to Questions Filed on 890802,deleting Phrase by Nearly Factor 2.5 in Next to Last Line.W/Certificate of Svc ML20248D5391989-08-0202 August 1989 Affidavit of MT Masnik.* Advises That Author Prepared Response to Question 3 ML20248D7111989-08-0202 August 1989 Response of Intervenor Limerick Ecology Action,Inc to Memorandum & Order of Commission Dtd 890726.* Commission Order Fails to Provide Intervenor Adequate Time for Response & Should Therefore Be Revoked.W/Certificate of Svc ML20248D5671989-08-0202 August 1989 Affidavit of SE Feld.* Advises That Author Prepared Response to Question 5.W/Certificate of Svc ML20248D4971989-08-0202 August 1989 Joint Affidavit of Gy Suh & CS Hinson.* Advises That Authors Prepared Responses to Questions 1 & 4 ML20248D6451989-08-0202 August 1989 Affidavit.* Advises That Author Read Responses to Request for Comments by NRC & Knows Contents.W/Certificate of Svc ML20248D4721989-08-0202 August 1989 NRC Staff Response to Commission Questions.* Provides Info for Use in Commission Effectiveness Review of Plant Full Power Operation,Per Commission 890726 Memorandum & Order. Supporting Affidavits Encl ML20248D5981989-08-0202 August 1989 Response by Licensee Philadelphia Electric Co to Commission Request for Comments by Memorandum & Order Dtd 890726.* Licensee Requests Commission Issue Full Power OL for Unit 2 Conditioned Upon Outcome of Pending Litigation ML20248D5311989-08-0202 August 1989 Affidavit of Rj Barrett.* Advises That Author Prepared Response to Question 2 ML20245J1321989-07-27027 July 1989 Transcript of 890727 Meeting in Rockville,Md Re Facility Severe Accident Mitigation Issues.Pp 1-130.Supporting Info Encl ML20247N3261989-07-26026 July 1989 Transcript of 890726 Affirmation/Discussion & Vote in Rockville,Md on SECY-89-220 Re Order Requesting Info from Parties for Immediate Effectiveness Review of Full Power Authorization for Limerick Unit 2.Pp 1-4 ML20248D7331989-07-24024 July 1989 Second Rept of Parties & Request for Dismissal of Graterford Inmates Contention & Termination of Proceeding.* Requests Board to Enter Order to Terminate Proceeding Based on Parties Agreeing to Dismissal of Remaining Contention ML20247Q4621989-07-23023 July 1989 Response of Intervenor Rl Anthony to Answer of Philadelphia Electric Co (PECO) to Request for Hearing on PECO Application for Low Power Operation of Unit 2 & Stay of Any Operation in Keeping W/Us Circuit Court Remand Of....* ML20247B7261989-07-20020 July 1989 Notice of Appointment of Adjudicatory Employee.* Advises That H Vandermole Appointed to Advise Commission on Issues in Proceeding Re Severe Accident Mitigation Design Alternatives.W/Certificate of Svc.Served on 890720 ML20247B3821989-07-18018 July 1989 Memorandum & Order.* Orders That Severe Accident Mitigation Alternatives,Per Nepa,To Be Considered Include Containment Heat Removal,Core Residue Capture & Venting.Certificate of Encl.Served on 890719 ML20247B7641989-07-13013 July 1989 Motion of Intervenor,Limerick Ecology Action Inc,To Reconsider/Stay/Suspend/Revoke Order Authorizing Issuance of Low Power OL for Limerick 2.* Consideration of Accident Mitigation Alternatives Imperative.Certificate of Svc Encl 1997-08-05
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DOCHETED ustmc March 17,.4p8j.y g q .7 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of ) ,
)
PHILADELPHIA ELECTRIC COMPANY ) Docket Nos. 50-352 GWr -I
)- (Check Valves) OLA/oLA-3 (Limerick Generating Station, )
Unit 1) )
RESPONSE OF NRC STAFF IN OPPOSITION TO PETITION AND REQUEST FOR A HEARING BY THE AIR AND WATER POLLUTION PATROL REC ARDING LICENSEE'S AMENDMENT REQUEST NO.1
- 1. INTRODUCTION On February 24, 1986, the Air and Water Pollution Patrol (AWPP) filed a petition to intervene and request for a hearing with regard to Amendment No.1 to Facility Operating License NPF-39. AWPP's concerns involve the Licensee's request for a one-time schedular amendment from testing certain excess flow check valves in certain instrumentation lines for a period of approximately fourteen weeks.1 For the reasons set forth below, the NRC staff opposes AWPP's petition and urges that it be denied .
II. BACKGROUND The circumstances surrounding the Licensee's request for Amendment No.1 and the Staff's decision to issue the amendment and to determine j i
1_/ Amendment No. I was issued by the Staff on February 6,1986. A copy of the amendment was provided to the Licensing Board in a letter from Joseph Rutberg, Assistant Chief Hearing Counsel, dated March 7,1986.
8603200204 860317 DESIG1iM ED ORIGilIAb
PDR ADOCK 05000352 G PDR
.- n 1_ &,._ -
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that the issuance did not involve a significant hazard are set forth in the Staff's reply to FOE's request for intervention arkd a hearing and will not be repeated here. -
The NRC's Federal Register Notice of Licensee's amendment request occurred on December 26, 1985 and stated that any comments and/or peti-tions to intervene must be received by January 2G, 1986. A copy of this Notice was sent to Edward G. Bauer, Jr. Vice President, Philadelphia Electric Co. by letter from the NRC on January 27, 1986 and was also sent to the Limerick Service List including AWPP. AWPP claims, on the other hand, thr.t it first became aware of this amendment by virtue of the receipt of the Staff's letter to Mr. Bauer that it received from Mr. Anthony, the representative of FOE on February 21, 1986. Petition at 1. Through inadvertence a copy of the Federal Register Notice was not sent to AWPP until it was sent a copy of the letter to Mr. Bauer from the Staff. However, AWPP received both constructive notice (publication in the Federal Register) and actual notice (the letter to Mr. Bauer) well in advance of the time that he actually filed the petition to intervene and request for a hearing. In addition, AWPP was sent a copy of the Appli-cation for Amendment. b On February 24, 1986, approximately four weeks after the date for filing petitions set forth in the Federal Register Notice, AWPP filed its
-2/ Response of NRC Staff in Opposition to Petition to Intervene And Request For a Hearing by Anthony / FOE Regarding Licensee's Amend-ment Request, dated February 25, 1986.
~3/ Letter from Eugene J. Bradley to Mr. Harold Denton, with copies to the Service List including Mr. Romano, dated December 18, 1985, provided to the Licensing Board by letter dated March 6,1986, from Troy B. Conner, Jr.
petition to intervene and request for a hearing. AWPP, without specifi-cally addressing the criteria in 10 C.F.R. S 2.714(a)(1), states that the reason for its delay was due to the fact that it was not until February 21, 1986 that it became aware that the NRC was considering the issuance of an amendment to Operating License NPF-39, the date that AWPP received a copy of the Staff's January 27, 1986 letter to PECO's Mr. Bauer from Mr. Anthony.
Ill. DISCUSSION A. The Standards for Intervention Section 189a of the Atomic Energy Act of 1954, as amended, 4 ' U.S.C. S 2239(a), provides that:
In any proceeding under [the] Act, for the granting, sus-pending, revoking , or amending of any license . .. the Commission shall grant a hearing upon the request of any person whose interest may be affected by the proceeding, and shall admit any such person as a party to such proceeding.
10 C.F.R. Section 2.714(a)(2) of the Commission's Rules of Practice, re-quires that a petition to intervene in a Commission proceeding set forth with particularity:
(1) the interest of the petitioner in the proceeding; (2) how that interest may be affected by the results of the proceeding; and (3) the specific aspect or aspects of the subject matter of the proceeding as to which petitioner wishes to intervene.
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l
In order for intervention to be granted, the Atomic Safety and Licensing Board designated to rule on petitions to intervene and/or requests for hearing must find that the petition satisfies these standards. A In determining whether the requisite interest prescribed by both Section 189a of the Atomic Energy Act and Section 2.714 of the Commission's Rules of Practice is present, the Commission has held that contemporaneous judicial concepts of standing are controlling. Portland General Electric Co. (Pebble Springs Nuclear Plant , Units 1 and 2),
CLI-76-27, 4 NRC 610, 613-14 (1976). Thus, there must be a showing (1) that the action being challenged could cause " injury-in-fact" to the person seeking to intervene and (2) that such injury is arguably within the " zone of interests" protected by the Atomic Energy Act - or the National Environmental Policy Act. S See also Warth v. Seldin, 422 U.S.
490 (1975); Sierra Club v. Morton, 405 U.S. 727 (1972); Association of Data Processing Service Organizations, Inc. v. Camp, 397 U.S. 150, 153 (1970).
4_/ Intervention may also be granted as a matter of discretion to some petitioners who are not entitled to intervention as a matter of right if the petitioner can show that the Commission's specific criteria weigh in favor of discretionary intervention. See Portland General Electric Company, et al. (Pebble Springs Nuclear Plant , Units 1 and 2), CLI-76-27, 4 NRC 610, 616 (1976). As described herein, the NRC staff believes AWPP has failed to satisfy the criteria set forth in 10 C.F.R. S :'.714 and has not otherwise indicated how AWPP would be helpful in creating a sound record in this proceeding or otherwise merit discretionary intervention. Id. Therefore, the NRC staff does not intend to discuss discreFonary intervention further.
5/ 42 U.S.C. S 2011 et seq.
6/ 42 U.S.C. S 4321 et seq.
I I
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" Abstract concerns" or a " mere academic interest" in the matter which are not accompanied by some real impact on a petitioner will not confer standing. See, In the Matter of Ten Applications for Low-En-riched Uranium Exports to EURATOM Member Nations, CLI-77-24, 6 NRC
! 525, 531 (1977); Pebble Springs, CLI-76-27, supra, 4 NRC at 613. Rath-er, the asserted harm must have some particular effect on a petitioner, Ten Applications, CLI-77-24, supra, and a petitioner must have some di-rect stake in the outcome of the proceeding. See Allied-General Nuclear Services, et al. (Barnwell Fuel Receiving and Storage Station) ,
ALAB-328, 3 NRC 420, 422 (1976).
An organization may gain standing to intervene based on injury to itself. Edlow International Company, CLI-76-6, 3 NRC 563, 572-74 (1976). If the organization seeks standing on its own behalf, it must establish that it will be injured and that the injury is not a generalized grievance shared in substantially equal measure by all or a large class of citizens. Ten Applications, CLI-77-24, supra, at 531. On the other hand, an organization may establish standing through members of the organization who have an interest which may be affected by the outcome of the proceeding. Public Service Co. of Indiana, Inc. (Marble 1I111 Nu-clear Generating Station , Units 1 and 2), ALAB-322, 3 NRC 328, 330 (1976). When an organization claims that its standing is based on the interests of its members, the organization must identify one or more indi-vidual members (by name and address) whose interests may be affected and give some concrete indication that such members have authorized the organization to represent their interests in the proceeding. Houston Lighting and Power Company (Allens Creek Nuclear Generating Station ,
Unit 1), ALAB-535, 9 NRC 377, 393-97 (1979); Public Service Electric I
-- .. -.e, ,,- , ..- , ,-, , r
and Gas Company (Salem Nuclear Generating Station , Units 1 and 2),
ALAB-136, 6 AEC 487, 488-89 (1973); Duquesne Light Company, et al.
(Beaver Valley Power Station , Unit No. 1) , ALAB-109, 6 AEC 243, 244 at n.2 (1973). Specific representational authorization of a member with personal standing is not required where the sole or primary purpose of the petitioning organization is to oppose nuclear power in general or the particular facility at bar. Allens Creek, ALAB-535, supra, at 396. U Further, it should be noted that the Commission's Rules of Practice provide that petitionn .to intervene not filed within the time period set forth in the Federal Register Notice will not be entertained absent a de-termination that the five factors set forth in 10 C.F.R. S 2.714(a)(1) weigh in favor of granting the petition. The factors to be considered are: (i) whether good cause ic shown for the failure to file on time; (ii) the availability of other means to protect the petitioner's interest; (iii) the extent to which the petitioner's participation may reasonably be expected to assist in developing a sound record; (iv) the extent to which
~7/ Further, under Section 2.713 of the Commission's Rules of Practice.
a " partnership, corporstion or unincorporated association may be represented by a duly authorized member or officer, or by an attor-n ey-a t-law . " 10 C.F.R. S 2.713(b) (smphasis added). Thus, where an organization is represented by one of its members, the member must demonstrate authorization by that organization to represent it.
It is clear that groups may not represent persons other than their own members, and individuals may not assert the interest of other persons. Long Island Lighting Co. (Shoreham Nuclear Power Sta-tion , Unit 1), LBP-77-11, 5 NRC 481, 483 (1977); Watts Bar, ALAB-413, supra at 1421; Detroit Edison Company (Enrico Fermi Atomic Power Plant , Unit No. 2), ALAB-470, 7 NRC 473, 474 n.1 (1978). There is, under the Atomic Energy Act and the Commis-sion's regulations, no provision for private attorneys general. Port-land General Electric Company (Pebble Springs Nuclear Plant, Units 1 and 2), ALAB-333, 3 NRC 804, 806 n.6 (1976); Long Island Lighting Company, LBP-77-11, supra, at 483.
2 the petitioner's interest will be represented by existing parties ; and (v) the extent to . which the petitioner's participation will broaden the issue or delay the proceeding.
B. Evaluation of AWPP's Petition AWPP's petition fails to satisfy the requirements for intervention in that it does not contain the requisite demonstration of compliance with 10 C.F.R. S 2.714 by establishing interest, how that interest may be af-fected and the specific aspect or aspects of the subject matter of the pro-ceeding that it wishes to pursue.
- 1. Interest and Standing The sole argument made by AWPP in support of its standing in this matter is that, it was an intervenor in the Limerick licensing pro-
- ceeding. Petition at 1. This argument, standing alone, is not adequate to support a finding that AWPP has the requisite standing to participate in this proceeding. The fact that the AWPP has been admitted in another proceeding concerning the Limerick facility does not excuse it from dem-onstrating that the requirements for intervention are met in this proceed-ing.- Philadelphia Electric Co. (Peach Bottom Atomic Power Station ,
Units 2 and 3), LBP-75-22, 1 NRC. 451, 454-55 (1975); Wisconsin.
Electric Power Co. (Point Beach Nuclear Plant, Unit 1), LDP-73-26, 6 AEC 612, 616 (1973). AWPP also- fails to identify the address of a mem-her who resides within close proximity to the Limerick facility and who has authorized AWPP to represent his or her interest in the proceeding.
North Anna, ALAB-522, supra; and, Allens Creek, ALAD-535, supra.,
at 393-397.
- Furthermore, AWPP has failed to establish how it will be injured by the proposed action. Edlow International Company, CLI-76-6, supra.,
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at 570-574; Ten Applications, CLI-77-24, supra., at 531. No effort is made by AWPP in establishing how its interest may be affected by this arlendment or to indicate why the Staff was incorrect in concluding that there is reasonable assurance that the health and safety of the public will not be endangered by the fourteen week extension. AWPP's generalized statements, which are without any basis, are not enough to meet its.obli-gations under 10 C.F.R. S 2.714,
- 2. Aspect AWPP asserts that any extension of time required to determine the ability of the instrumentation lines to function properly would pose health and safety risks because of the safety significance of these lines.
Petition, at 2. Ilowever, this generalized statement concerning the impor-tance of the instrumentation lines is inadequate to provide the specificity that is required to establish the aspect or aspects AWPP wishes to pursue in connection with the pending amendment. Amendment No. I deals with surveillance tests which would be conducted periodically to determine whether excess flow check valves will respond functionally to check the flow of fluid in the instrumentation lines upon being subjected to exces-sive differential pressure across the valve. With respect to this amend-ment, AWPP makes no effort to address the Staff's conclusion that the extension of time for surveillance by fourteen weeks does not significantly increase the possibility that an undetected failure will occur in the in-strumentation line excess flow check valves involved in the extension.
Safety Evaluation, Support Amendment No.1, Facility Operating Licensing No. NPF-39, Philadelphia Electric Company (Limerick Generating Station, Unit No.1) at 2, (February 6,1986).
i l
o Reference by AWPP to prior Licensee Event Reports and previously litigated contentions provide no support for its request for intervention and a hearing in connection with the pending amendment.
6 Such arguments do not provide the parties with the aspect or aspects of
- this particular amendment that AWPP wishes to pursue. Similarly, with I
respect to AWPP's reliance upon the Torrey Pines Technology Study,
]
which focused on, inter alia, the effects on the instrumentation lines of whipping pipes that experienced a rupture, AWPP has made no effort to establish a nexus between the amendment and the Torrey Pines report. 8/
For the above reasons, AWPP has failed to adequately provide an appropriate aspect or aspects which AWPP wishes to pursue in a hear-ing that would be initiated in connection with this amendment. l C. The Standards Governing Untimely Interventions Have Not Been Met At the outset, it should be noted that AWPP makes no effort to spe-cifically address the five factors set forth in 10 C.F.R. S 2.714 that j must be balanced by the Licensing Board when ruling on a late petition.
Only one of the factors, good-cause, can be arguably said to have been raised in AWPP's petition.
- 1. Good Cause The first factor to be considered when considering a late-filed -
i
- petition is whether good cause has been shown for filing out of time. In this case, AWPP has indicated that the reason for the delay in filing a petition to intervene and a request for hearing was the fact that AWPP
-8/ This issue was the subject of a Staff review and was found to be resolved as stated in Supplement No. 4 to the Limerick Safety Evalu-ation Report, Section 3.6.2 (May 1985). In addition to the lack of r nexus, AWPP's remarks are also without basis.
N S
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had not become aware of the amendment until a copy of the letter dated January 27, 1986 to Mr. Bauer from the NRC enclosing a copy of the Federal Register Notice, was received from Mr. Anthony.
In this case the NRC's Federal Register Notice of Licensee's amendment request occured on December 26, 1985 and stated that any comments and/or petitions to intervene must be received by January 26, 1986. Furthermore, a copy of the January 27, 1986 letter to Mr. Bauer was sent to the Limerick Service List, which includes AWPP. Moreover, the amendment application was also served upon AWPP.
Accordingly, AWPP had notice of the pending amendment re-quest well in advance of the time within which petitions for intervention and requests for a hearing were to be filed , both by actual notice through the receipt of the amendment application and by constructive notice in the Federal Register. The fact that AWPP asserts that it was not until it received the information from Mr. Anthony that it became aware of Licensee's amendment request and determined to file a petition to intervene and request a hearing does not provide the requisite good cause for a late filing. The time to file had clearly expired and there is no valid justification for AWPP's failure to file on time.
- 2. The Remaining Factors The other factors to be considered in connection with a late filed petition were not addressed by AWPP. The Staff could only surmise what arguments could be made to support the acceptance of the late filed i petition and, unwilling to make such an effort in connection with AWPP's i petition, concludes that these factors should be weighed against AWPP.
In a situation quite similar to the instant matter, an intervenor filed his petition to intervene and request for a hearing eight days late and failed j l
l
)
. to address the 10 C .F .R . S 2.714(a) lateness factors, in its Petition.
The Appeal Board held that, the intervention petition was correctly denied because it was untimely and because the Petitioner failed to address the lateness factors. Boston Edison Company (Pilgrim Nuclear Power Sta-tion), ALAB-816, 22 NRC 461, 4G5-466 (1985).
In summary, the balancing of the lateness factors set forth in 10 C.F.R. S 2.714 clearly weigh against granting AWPP's late filed re-quest for intervention and hearing.
IV. CONCLUSION For the reasons set forth above, AWPP's late filed petition to inter-vene and request for a hearing fails to meet the standards for interven-tion and should be denied.
Respectfully sutmitted, W/A C enjamin II. Voglerr >
Counsel for NftC Staff Dated at Bethesda, Maryland this 17th day of thrch,1986 .
I
a UNITED STATES OF AMERICA DOCKETED NUCLEAR REGULATORY COMMISSION USNRC; BEFORE TIIE ATOMIC SAFETY AND LICEN]E yNG gl@3 ;)g In the Matter of ) 0FFICE OF ha mn*
) 00CKETittG & SERVICf.
PIIILADELPIIIA ELECTRIC COMPANY ) Docket No. NY52 OLA-1
) (Check Valves)
(Limerick Generating Station, )
Unit 1) )
CERTIFICATE OF SERVICE I hereby certify that copies of " RESPONSE OF NRC STAFF IN OPPOSITION TO PETITION AND REQUEST FOR A HEARING BY THE AIR AND WATER POLLUTION PATROL REGARDING LICENSEE'S AMENDMENT REQUEST NO.1" in the above-captioned proceeding have been served on the following by deposit in the United States mail, first class, or as indicated by an asterisk through deposit in the Nuclear Regulatory Commission's internal mail system, this 17th day of March,1986:
Ivan W. Smith, Chairman (2) Mr. Edward G. Bauer, Jr.
Administrative Judge Vice President & General Counsel l Atomic Safety and Licensing Board Philadelphia Electric Company U.S. Nuclear Regulatory Commission 2301 Market Street Washington, D.C. 20555* Philadelphia, PA 19101 Dr. Richard F. Cole Troy B. Conner, Jr. , Esq.
Administrative Judge Mark J. Wetterhahn, Esq.
Atomic Safety and Licensing Board Conner and Wetterhahn U.S. Nuclear Regulatory Commission 1747 Pennsylvania Avenue, N.W.
Washington, D.C. 20555* Washington, D.C. 20006 Mr. Gustave A. Linenberger, Jr. Mr. Marvin I. Lewis
, Administrative Judge 6504 Bradford Terrace Atomic Safety and Licensing Board Philadelphia, PA 19149 U.S. Nuclear Regulatory Commission Washington, D.C. 20555* Joseph II. White, III 15 Ardmore Avenue Mr. Frank R. Romano Ardmore, PA 19003 Air and Water Pollution Patrol 61 Forest Avenue Ms. Phyllis Zitzer, Precident Ambler, PA 19002 Ms. Maureen Mulligan Limerick Ecology Action Kathryn S. Lewis, Esq. 762 Queen Street l 1500 Municipal Services Bldg. Pottstown, PA 19464 15th and JFK Blvd. J Philadelphia, PA 19107 l
,- _ , _ . - - ,. - _ _,_ .,_--..-,._..._,,m.._ - _ . - - - _ _ - - - . , . . - , - - - ~ .
9 Thomas Gerusky, Director Barry M. Hartman
- Bureau of Radiation Protection Governor's Energy Council Dept. of Environmental Resources P.O. Box 8010 5th Floor, Fulton Bank Building 300 N. 2nd Street Third and Locust Streets Harrisburg, PA 17105 liarrisburg, PA 17120 Spence W. Perry, Esq.
Director Associate General Counsel Pennsylvania Emergency Management Federal Emergency Management Agency Agency, Room 840 Basement,- Transportation & Safety 500 C Street, S.W.
Building Washington, D.C. 20472 IIarrisburg, PA 17120 Robert J. Sugarman, Esq.
Robert L. Anthony Sugarman, Denworth & Hellegers Friends of the Earth of the 16th Floor Center Plaza Delaware Valley 101 North Broad Street 103 Vernon Lane, Box 186 Philadelphia, PA 19107 Moylan, PA 19065 James Wiggins Angus R. Love, Esq. Senior Resident Inspector Montgomery County Legal Aid U.S. Nuclear Regulatory Commission 107 East Main Street P.O. Box 47
- Norristown, PA 19401 Sanatoga, PA 19464 Charles W. Elliott, Esq. Atomic Safety and Licensing Brose & Poswistilo Board Panel 325 N 10 Street U.S. Nuclear Regulatory Commission Easton, PA 18042 Washington, D.C. 20555*
David Wersan Atomic Safety and Licensing Appeal Consumer Advocate Board Panel (5)
Office of Attorney General U.S. Nuclear Regulatory Commission 1425 Strawberry Square Washington, D.C. 20555*
l Harrisburg, PA 17120 Docketing and Service Section Jay Gutierrez Office of the Secretary Regional Counsel U.S. Nuclear Regulatory Commission USNRC, Region I Washington, D.C. 20555*
G31 Park Avenue King of Prussia, PA 19406* Gregory Minor MHB Technical Associates Steven P. Hershey, Esq. 1723 Hamilton Avenue Community Legal Services, Inc. San Jose, CA 95125 5219 Chestnut Street Philadelphia, PA 19139 Timothy R. S. Campbell, Director Department of Emergency Services 14 East Biddle Street West Chester, PA 19380 0
\{b b Josep \ R6tberg Agis"dnt Chief Hea 'ng Counsel
.