|
---|
Category:AFFIDAVITS
MONTHYEARML20234D0961987-07-0101 July 1987 Affidavit of DW Cassel.* Affidavit Re Intervenors Rorem,Et Al Motion to Reopen Record to Admit Late Filed Contention on Financial Qualification.Related Info Encl.W/Certificate of Svc & Svc List ML20214N0521987-05-28028 May 1987 Affidavit of Mj Wallace.* Affidavit of Mj Wallace Re Startup & Initial Criticality of Unit 1.W/Certificate of Svc ML20214N0471987-05-28028 May 1987 Affidavit of Jc Bukovski.* Affidavit of Jc Bukovski Re Delay in Startup,Testing & Commercial Operation of Unit 1 ML20205R9981987-04-0101 April 1987 Affidavit of Jt Louden Re Review of Lk Comstock Welding Procedures,Including Specs & Supporting Procedure Qualification Records in Effect from 841109-851231.Joint Welding Procedure Specs Encl ML20205R9661987-04-0101 April 1987 Affidavit of at Simile Re Insp of Lk Comstock Files of Superceded Revs to Welding Procedures & Current & Past Procedure Qualification Records for Period of 841109-851231 ML20211H4661986-10-27027 October 1986 Affidavit of Nondisclosure of RO Wolf Re 851206 Protective Order.Certificate of Svc Encl ML20209G3531986-09-0909 September 1986 Affidavit of B Mann Supporting Applicant 860818 Motion for Authorization of Fuel Loading & Precritical Testing ML20209G3771986-09-0909 September 1986 Affidavit of Rn Gardner Re Region III Intent to Ensure Compliance W/License Conditions Invoked by License Issued as Result of Motion for Authorization of Fuel Loading & Precritical Testing.Certificate of Svc Encl ML20209G3651986-09-0808 September 1986 Affidavit of Wl Brooks Supporting Applicant 860818 Motion for Authorization of Fuel Loading & Precritical Testing ML20203L1741986-08-19019 August 1986 Affidavit of Rj Slember Supporting Applicant Motion for Authorization for Fuel Loading & Precritical Testing. Certificate of Svc Encl.Related Correspondence ML20214K7611986-08-18018 August 1986 Affidavit of Kd Brienzo Re Special Measures for Fuel Loading & Precritical Testing Activities ML20214K7761986-08-18018 August 1986 Affidavit of Tj Maiman Supporting Util Request for Authorization for Fuel Loading & Precritical Testing. Rj Slember Unexecuted Affidavit Encl.W/Certificate of Svc ML20199K8871986-07-0101 July 1986 Affidavit of KT Kostal in Response to Motion to Admit Late Filed Contention on Overstress of Structural Columns. Controlled Program Implemented to Assure That Structural Steel Not Overstressed.Certificate of Svc Encl ML20203N1331986-04-29029 April 1986 Affidavit of Ds Hefter Ack Receipt & Understanding of Encl Agreed Protective Order Re Protected Info ML20141D7981986-04-0202 April 1986 Affidavit of Tj Maiman Re Braidwood Unit 1 Scheduled Fuel Load Date ML20140C6891986-03-20020 March 1986 Affidavit of Mi Miller Re Preparation for Evidentiary Hearings on Contentions 1.A,6.A,10.A,12.A,13.A,10B & 11C. W/Certificate of Svc.Related Correspondence ML20140D6841986-03-20020 March 1986 Affidavit of Mi Miller Re Torrey Pines Technology,Inc Reinsp of safety-related Mechanical Equipment.Factual Matters in Marcus Assessment Have Not Been Withheld from Discovery Process.Certificate of Svc Encl ML20214C5261986-02-15015 February 1986 Affidavit of Wj Kropp Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 10F.Related Info Encl ML20214C4391986-02-13013 February 1986 Affidavit of Rd Schulz Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 6.G.Related Info Encl ML20214C3301986-02-13013 February 1986 Affidavit of Jm Jacobson Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 3.C.Related Info Encl ML20214C3341986-02-13013 February 1986 Affidavit of JW Muffett Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 5.A.Related Info Encl ML20214C5141986-02-13013 February 1986 Affidavit of Kd Ward Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 9.D.Related Info Encl ML20214C3801986-02-13013 February 1986 Affidavit of JW Muffett Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 5.C.Related Info Encl ML20214C6761986-02-13013 February 1986 Affidavit of JW Muffett Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 14.B.4.Supporting Documentation & Certificate of Svc Encl ML20214C6281986-02-13013 February 1986 Affidavit of Rd Schulz Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 14.B.3.Supporting Documentation Encl ML20214C6061986-02-13013 February 1986 Affidavit of Pr Pelke Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 14.B.2.Supporting Documentation Encl ML20214C5961986-02-13013 February 1986 Affidavit of Rd Schulz Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 14.B.1.Supporting Documentation Encl ML20214C5831986-02-13013 February 1986 Affidavit of JW Muffett Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 13.B.Supporting Documentation Encl ML20214C5801986-02-13013 February 1986 Affidavit of Rn Gardner Supporting NRC Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 12.J.Supporting Documentation Encl ML20214C5691986-02-13013 February 1986 Affidavit of Rn Gardner Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 12.F.Related Info Encl ML20214C5521986-02-13013 February 1986 Affidavit of Rn Gardner Supporting Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 12.E.Related Info Encl ML20214C4961986-02-13013 February 1986 Affidavit of Kd Ward Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 9.C.Related Info Encl ML20214C4681986-02-13013 February 1986 Affidavit of Jm Jacobson Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 9.A.Related Info Encl ML20214C4511986-02-13013 February 1986 Affidavit of Rd Schulz Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 6.I.Related Info Encl ML20214C3581986-02-13013 February 1986 Affidavit of Wj Kropp Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 5B.Related Info Encl ML20214C4091986-02-13013 February 1986 Affidavit of Rd Schulz Supporting Staff Response to Applicant 851220 Motion for Summary Disposition of Rorem QA Subcontention 6.F.Related Info Encl ML20137A9131986-01-15015 January 1986 Affidavit of J Gallo Re 851206 Protective Order.Receipt of Order Ack.Protection from Discrimination Emphasized for Util Employees Participating in Proceedings.Related Correspondence ML20137J1251986-01-10010 January 1986 Affidavit of Ld Butterfield Re Respiratory Protection. Statement Re Use of Handkerchief Deleted from Emergency Planning Brochures Due to Technical Inappropriateness. Certificate of Svc Encl.Related Correspondence ML20138M6501985-12-19019 December 1985 Affidavit of Mj Wallace Re QA Contention Concerning Util Responsiveness to QA Audit Findings & NRC Noncompliance & Nonconformance Repts.Corrective Actions Implemented on Schedule to Achieve Fuel Load Date.W/Certificate of Svc ML20138P5391985-12-18018 December 1985 Affidavit of G Wegner Re Rorem Offer of Proof.Certificate of Svc Encl ML20138N5011985-12-18018 December 1985 Affidavit of G Wenger Re Rorem Offer of Proof Concerning Seven Issues Questioning Whether Certain Subjs Adequately Addressed by State of Il Plan for Radiological Accidents ML20137X1001985-12-0202 December 1985 Affidavit of Js Fairow Re Seven Emergency Planning Issues Raised by Intervenor 851025 Offer of Proof.Certificate of Svc Encl ML20137C3121985-11-20020 November 1985 Affidavit of Rv Seltmann Supporting Revised Responses to Rorem Interrogatories 13-16 & Contention Item 6.B.5 Re Qa. Related Correspondence ML20137C3291985-11-20020 November 1985 Affidavit of If Dewald Supporting Revised Responses to Rorem Interrogatories 13-16 & Contention Item 6.B.5 Re Qa.Related Correspondence ML20137C3421985-11-20020 November 1985 Affidavit of TE Quaka Supporting Revised Responses to Rorem Interrogatories 13-16 & Contention Item 6.B.5 Re Qa.Related Correspondence ML20133F5361985-10-0808 October 1985 Affidavit of Jg Keppler Re 850621 Util late-filed Amended QA Contention.Certificate of Svc Encl ML20133F5971985-10-0202 October 1985 Affidavit of Rv Seltmann Supporting Util Response to Specific Interrogatories 58 & 59 Filed by Intervenor as Part of QA Contention.Related Correspondence ML20132C4381985-09-23023 September 1985 Affidavit of Mj Wallace Re Impact of Intervenor QA Contention on Project Const.Critical Path Activities Delayed 3 to 4 Months by QA Contention.Continued Litigation Will Delay Const Further & Elevate Cost ML20133F5931985-09-19019 September 1985 Affidavit of JW Gieseker Supporting Util Response to Specific Interrogatories 58 & 59 Filed by Intervenor as Part of QA Contention.Related Correspondence ML20133F6001985-09-0606 September 1985 Affidavit of DA Hoffer Supporting Util Response to Specific Interrogatories 58 & 59 Filed by Intervenor as Part of QA Contention.Certificate of Svc Encl.Related Correspondence 1987-07-01
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20207E0051999-03-0202 March 1999 Transcript of 990302 Public Meeting with Commonwealth Edison in Rockville,Md.Pp 1-104.Supporting Documentation Encl ML20236H9381998-06-30030 June 1998 Transcript of 980630 Meeting W/Commonwealth Edison in Rockville,Md.Pp 1-123.Supporting Documentation Encl ML20198P3001997-11-0404 November 1997 Transcript of 971104 Public Meeting W/Ceco in Rockville,Md Re Measures Established by Ceco to Track Plant Performance & to Gain Understanding of CAs Put Into Place to Improve Safety.Pp 1-105.W/Certificate & Viewgraphs ML20149H0301997-06-19019 June 1997 Comment Opposing Proposed Generic Communications Re Control Rod Insertion Problems ML20059C2351993-12-17017 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication ML20204G3081988-10-19019 October 1988 Order Imposing Civil Monetary Penalty in Amount of $50,000, Per 880506 Notice of Violation from Insp on 880301-17 ML20154K0301988-05-20020 May 1988 Transcript of 880520 Dicussion/Possible Vote in Rockville,Md Re Full Power OL for Facility.Pp 1-70.Related Info Encl ML20148G2161988-03-25025 March 1988 Decision.* Affirms Concluding Partial Initial Decision, LBP-87-14,25 NRC 461.Served on 880325 ML20149D8231988-02-0101 February 1988 Notice of Withdrawal.* Withdraws Appearance as Atty for Util in Proceeding,Effective 880201.Certificate of Svc Encl ML20236A8341987-10-21021 October 1987 Transcript of 871021 Proceedings in Bethesda,Md.Pp 1-100 ML20235K8741987-09-30030 September 1987 Notice of Oral Argument.* Oral Argument on Pending Appeal of Intervenors Bridget Little Rorem from Board 870519 Concluding Partial Initial Decision in Proceeding Will Be Heard on 871021.Served on 871002 ML20235H7121987-09-25025 September 1987 Memorandum & Order.* Intervenor Appeal from ASLB Rejection of late-filed Contention Dismissed & LBP-87-19 & LBP-87-22 Vacated on Grounds of Mootness Due to Util Withdrawing Amend Application.Served on 870928 ML20237L7461987-09-0303 September 1987 Order.* Oral Argument on Pending Appeal of Intervenors Bl Rorem Et Al from Licensing Board 870519 Concluding Partial Initial Decision in OL Proceeding Will Be Heard on 871021 in NRC Public Hearing Room.Served on 870903 ML20237L7721987-09-0101 September 1987 Reconstitution of Aslab.* Notice That Aslab Has Been Reconstituted for OL Proceeding.Board Will Consist of as Rosenthal,Wr Johnson & Ha Wilber.Served on 870902 ML20237L6931987-08-28028 August 1987 Decision.* Review of Licensing Board 870513 & 0706 Partial Initial Decisions Revealed No Error Necessitating Corrective Action.Result Reached by Licensing Board Re Decision LBP-87-13 Affirmed.Served on 870831 ML20237K0361987-08-11011 August 1987 NRC Staff Brief in Support of LBP-87-14.* Certificate of Svc Encl ML20236P1101987-07-31031 July 1987 Brief of Comm Ed.* Brief Filed Re Appeal by Bridget Little Rorem,Et Al from ASLB 870519 Concluding Partial Initial Decision.Appeal Shoud Be Denied & Decision Affirmed. Certificate of Svc Encl ML20236N9791987-07-31031 July 1987 NRC Staff Response to Aslab Order of 870721.* NRC Supports Deferral of Briefing of Intervenors Appeal Until Applicant Affirmation Re Withdrawal of License Amend Application Received.Bc Hunsader Encl.W/Certificate of Svc ML20236N8851987-07-31031 July 1987 Response to Intervenors Request for Deferral of Further Appellate Proceedings.* Forwards Util to NRC Withdrawing License Amend Applications Re Ownership.Pending Appeal Should Be Dismissed.Certificate of Svc Encl ML20235Y8711987-07-23023 July 1987 Appeal from Licensing Board Denial of Motion to Reopen Record.* Intervenors Rorem Appeal from Decision of Licensing Board of 870706 Denying Rorem Motion to Reopen Record for Purpose of Admitting Late Contention.W/Certificate of Svc ML20235Y9081987-07-21021 July 1987 Order.* Date for Filing Briefs Re Intervenor Appeal of Board 870706 Memorandum & Order Denying Motion for Reconsideration & Motion to Admit late-filed Contention Postponed Until Further Order by Board.Served on 870722 ML20234D0521987-07-0202 July 1987 Motion to Reopen Record to Admit late-filed Contention on Financial Qualifications.* Record Should Be Reopened Since Rule Barring case-by-case Financial Qualification Adjudication Not Applicable ML20235D6761987-07-0202 July 1987 Order.* Intervenors 870623 Motion That ASLB Reconsider 870610 Memorandum & Order Denying 870506 Motion to Reopen Record & 870701 Motion to Admit late-filed Contention Denied.Motion in Alternative Dismissed.Served on 870707 ML20234D0961987-07-0101 July 1987 Affidavit of DW Cassel.* Affidavit Re Intervenors Rorem,Et Al Motion to Reopen Record to Admit Late Filed Contention on Financial Qualification.Related Info Encl.W/Certificate of Svc & Svc List ML20216J8821987-07-0101 July 1987 Motion in Alternative Before Appeal Board.* Intervenors Hold That Jurisdiction Over 870701 Motion to Reopen Record to Admit Late Filed Contention on Financial Qualifications Remains W/Aslb.W/Svc List & Certificate of Svc ML20234D0361987-07-0101 July 1987 Opening Brief of intervenors-appellants Bridget Little Rorem,Et Al.* Board Majority Committed Errors of Fact & Law That Compel Reversal of 870519 Concluding Partial Initial Decision.Certificate of Svc Encl CLI-87-07, Order CLI-87-07.* ASLB Concluding Partial Initial Decision, Resolving All Contested Issues & Authorizing NRR to Issue Ol,Reviewed by Commission & Effective Immediately.Separate Views of Commissioner Asselstine Encl.Served on 8707011987-06-30030 June 1987 Order CLI-87-07.* ASLB Concluding Partial Initial Decision, Resolving All Contested Issues & Authorizing NRR to Issue Ol,Reviewed by Commission & Effective Immediately.Separate Views of Commissioner Asselstine Encl.Served on 870701 ML20235A7271987-06-30030 June 1987 Transcript of 870630 Discussion/Possible Vote in Washington, DC Re Full Power OL for Facility.Pp 1-70.Supporting Documentation Encl ML20216D1941987-06-22022 June 1987 Order.* Amend to 861107 Protective Order Which Resolved Dispute Between ASLB & Commission Ofc of Investigation Over Disclosure of Certain Investigatory Matls.Certificate of Svc Encl.Served on 870623 ML20215J8891987-06-19019 June 1987 Applicant Texas Utils Electric Co Petition for Directed Certification of Licensing Board Order of 870312.* Brief Supports Granting Petition to Vacate ASLB 870312 Order. Supporting Documentation & Certificate of Svc Encl ML20215D9241987-06-15015 June 1987 Memorandum on Licensing Board Jurisdiction.* Jurisdiction Over Intervenors 870506 Motion Retained Until Further Action of Licensing Board Due to Util 870528 Filing of Application for Amend to Ol.Served on 870616 ML20214W9601987-06-12012 June 1987 Transcript of 870612 Telcon in Washington,Dc.Pp 18,585- 18,596 ML20214W5031987-06-10010 June 1987 Memorandum & Order (Denying Intervenors Motion to Admit late-filed Contentions on Financial Qualifications).* Rorem, Et Al 870506 Motion Re Financial Qualifications of New co- Licensees Denied for Want of Jurisdiction.Served on 870611 ML20214W5491987-06-0909 June 1987 Notice of Reconstitution of Board.* Iw Smith,Chairman & Rf Cole & AD Callihan,Members.Served on 870610 ML20214W4911987-06-0909 June 1987 Order.* ASLB 870513 Partial Initial Decision Addressing Emergency Planning Issues Will Be Reviewed Sua Sponte & Will Not Be Deemed Final Until Further Order.No Appeal from Decision Received ML20214P0811987-06-0101 June 1987 Notice of Appeal.* Intervenor Bl Rorem,By Attys & in Accordance w/10CFR2.762,appeal ASLB 870519 Concluding Partial Initial Decision Re Plant Which Served on Parties on 870521.Notice of Appearance & Certificate of Svc Encl ML20214N0521987-05-28028 May 1987 Affidavit of Mj Wallace.* Affidavit of Mj Wallace Re Startup & Initial Criticality of Unit 1.W/Certificate of Svc ML20214N0471987-05-28028 May 1987 Affidavit of Jc Bukovski.* Affidavit of Jc Bukovski Re Delay in Startup,Testing & Commercial Operation of Unit 1 ML20214N0421987-05-28028 May 1987 Commonwealth Edison Co Comments to Commission on Immediate Effectiveness Issues.* Forwards Affidavits of Mj Wallace & Jc Bukovski.Requests Opportunity to Be Heard If Commission Contemplates Such Stay ML20214N4321987-05-26026 May 1987 NRC Staff Response to Motion to Admit late-filed Contention on Financial Qualifications.* Board Must Deny Motion to Admit late-filed Contention & Deny Request to Certify Question of Waiver to Commission.W/Certificate of Svc ML20214N3901987-05-22022 May 1987 Amend to Concluding Partial Initial Decision.* Amends 870519 Concluding Initial Decision to Delete Limited Authorization Granted NRR to Issue License for Low Power Testing,Due to Issuance of LBP-87-13 on 870513.Served on 870526 ML20214N0631987-05-19019 May 1987 Errata Correction.* Requests Pen & Ink Corrections to Minority Decision Pages Forwarded as Corrected Pages to Errata .Pages 73,74 & 75 Should Be Numbered as Pages 72,73 & 74,respectively.Served on 870529 ML20214N0851987-05-19019 May 1987 Errata.* Forwards Corrected Pages to Minority Opinion, Matters of Dissent.Served on 870528 ML20214G5141987-05-19019 May 1987 Response to Intervenor Motion Seeking to Reopen Record for Admission of New Contention.* Intervenor Filed Motion, Motion to Admit Late Filed Contention on Financial Qualifications. Affidavit & Certificate of Svc Encl ML20214N3431987-05-19019 May 1987 Errata to Concluding Partial Initial Decision (Ol).* Minor Editoral Corrections Listed.Served on 870528 ML20214G5921987-05-19019 May 1987 Concluding Partial Initial Decision (Ol).* Due to Violation Re Discouragement to Document Any Major Deficiency That Could Result in Lengthy Delay in Production,Civil Penalty Should Be Imposed on Comstock & Util.Served on 870521 ML20214G8701987-05-18018 May 1987 Notice of Reconstitution of Aslab.Gj Edles Chairman & WR Johnson & CN Kohl Members.Served on 870520 ML20213F9971987-05-13013 May 1987 Partial Initial Decision on Emergency Planning Issues.* ASLB Resolves All Outstanding Issues Re Offsite Emergency Favorably to Applicant Subj to Certain Info Being Included in Next Emergency Info Booklet.Served on 870514 ML20215K9991987-05-0606 May 1987 Motion to Admit late-filed Contention on Financial Qualifications.* Contention Based on Util 870406 Filing Re New Ownership & Financing for Facility.Affidavit & Certificate of Svc Encl ML20214F1991987-04-22022 April 1987 Applicant Exhibit A-188,consisting of Admitting Exhibit.Util Re General Ofc Records Audit,Lk Comstock Engineering Co,Inc 830110 Memo Re Audit Responses & 821101 General Insp Rept Re Torque Wrench Test Record Encl 1999-03-02
[Table view] |
Text
l UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
COMMONWEALTH EDIS0N COMPANY ) Docket Nos. 50-456 50-457 (Braidwood Nuclear Power Station, Units 1 and 2)
AFFIDAVIT OF THOMAS J. PLOSKI IN SUPPORT OF STAFF RESPONSE TO MOTION OF COMMONWEALTH EDIS0N COMPANY FOR
SUMMARY
DISPOSITION OF ROREM CONTENTION 1(c)
I, Thomas J. Ploski, beino duly sworn, depose and state as follows:
- 1. I am an Emergency Preparedness Analyst in the Emergency Preparedness Section, Emergency Preparedness and Radiological Protection Branch, Division of Radiation Safety and Safeguards, NRC Region III. I have personal knowledge of the matters set forth herein and believe them to be true and correct to the best of my knowledge, information and belief. A copy of my professional qualifications is attached.
- 2. I give this affidavit in response to the " Motion of Commonwealth Edison Company For Summary Disposition On Pleadings" dated June 11, 1985. The Motion seeks, in part, summary disposition of Subpara- l graph (c) of Contention 1 of Intervenors Bridget Little Rorem, et i I
al. Contention 1(c) which states as follows:
Intervenor contends that an adequate emergency plan for the Braidwood Station should include the l following: l G
ADO [
-P-(c) A suitable plan for providing medical treat-ment to operating personnel who might be exposed to radiation in the event of an accident including transportation to medical facilities equipped to treat radiation casualties.
- 3. I have read the " Motion of Commonwealth Edison Company for Summary Disposition on Pleadings" dated June 11, 1985, Material Facts As to Which There is no Genuine Issue to Be Heard," regarding Rorem Contention 1(c) and the Affidavits of John C. Golden dated June 12, 1985 and Roger E. Linnemann, M.D. dated June 11, 1985.
- 4. I have independently reviewed tho emergency plan for the Braidwood Station, which is comprised of the Generating Stations Emergency Plan (GSEP), common to all of Commonwealth Edison Company's nuclear generating stations, and the Braidwood Annex to this generic GSEP.
My review of the Applicant's emergency plan was done in light of the requirements set forth in 10 C.F.R. @ 50.47(b)(12), 10 C.F.R. Part 50, Appendix E, Paragraph IV.E and the guidance set forth in NUREG-0654, Revision 1 Section II, Paragraph L.
- 5. Subpart (c) to Contention 1 asserts that, for the Applicant's plan to be adequate, it should include "a suitable plan for providing medica 1 treatment to operating personnel who might be exposed to radiation in the event of an accident, including transportation to medical facilities equipped to treat radiation casualties."
- 6. The Applicant's emergency plan contains an adequately detailed description of adequate provisions for care to be given any persons at the Braidwood Station who would reouire medical treatment after being exposed to radiation.
- 7. 10 C.F.R 5 50.47(b)(12) of the Commission's emergency planning regulations requires that " arrangements are made for medical services for contaminated injured individuals." 10 C.F.R.
Part 50, Appendix E, Paragraph IV.E requires that " adequate provisions shall be made and described for emergency facilities and equipment, including: . . .(5) arrangements for the services of physicians and other medical personnel qualified to handle radiation emergencies ensite; (6) arrangements for transportation of contaminated injured individuals from the site to specifically identified treatment facilities outside the site boundary."
- 8. NUREG-0654, Revision 1,Section II, Paragraph L, contains guidance criteria to be used by the Staff when evaluating plans made for providing care to any onsite personnel who may require medical treatment following exposure to radiation. Relevant criteria in Paragraph L state that the Applicant shall arrange for local and backup hospitals and for medical services having the capability of evaluating radiation exposure and uptake. The Applicant shall also provid~eassurancethatpersonsprovidingmedicalservicesIre adequately prepared to handle radiation accident victims. The
Applicant shall also have arrangements for transporting victims of radiological accidents to medical support facilities.
- 9. The generic portion of the Applicant's plan states that Commonwealth Edison's Medical Director is responsible for obtaining agreements for the services of physicians and medical consultants specifically skilled in the medical treatment aspects of' radiation accidents and other medical consultants, as may be necessary', for the care of persons involved in a radiation exposure incident. GSEP Table 4.3-13 and Section 6.5.4. This roster of available, specifically skilled persons is maintained in the Applicant's corporate medical office.
The plan indicates that these specialists may be in direct charge of patient care or may serve as consultants to other physicians in charge of their care. Id.
- 10. The plan also states that each nuclear generating station is responsible for obtaining agreements, confirmed in writing every two calendar years, with a qualified l'ocal hospital which will receive and initially treat contaminated or exposed persons who may require hospital care. The Applicant has committed to provide medical con-sultants to aid in any special care necessary at the local hospital.
The Braidwood Annex to the generic GSEP identifies St. Joseph Hospital in Joliet, Illinois, as the local hospital for persons at the Brhidwood Station. This hospital already serves as the local hospital for any victims of radiological accidents at the Applicant's Dresden Nuclear Generating Station who may need hospital care. A
\
)
formal Letter of Agreement, maintained separately from the plan, has been executed in late 1984 between responsible persons at the Braidwood Station and St. Joseph Hospital. GSEP Section 6.5.3 and Section 6.5.4, Braidwood Annex Sections 4.2 and 7.5.
- 11. The plan indicates that each nuclear generating station is also responsible for making arrangements, confirmed in writing, with a local ambulance service that is available on a 24-hour basis for transporting injured persons from the generating station to the local hospital. Such persons would include those who may also have been contaminated with radioactive material or have been exposed to sufficient levels of radiation to warrant their transport to a hospital. The Applicant has committed in the plan to provide radiation monitoring services, as may be necessary, to the ambulance service when transporting victims of radiation incidents from the Braidwood Station. The Braidwood Annex to the generic GSEP identi-fies the Braidwood Fire and Rescue Department as the organization that will provide ambulance services to the Braidwood Station. A formal Letter of Agreement, maintained separately from the plan, has been executed in late 1984 between responsible persons at the Braidwood Station and the Braidwood Fire Department. Braidwood Annex Sections 4.2 and 7.5; GESP 6.5.3.
- 12. In addition to local hospital and ambulance service support, the Applicant maintains arrangements, confirmed in writing every two calendar years, with a major medical facility equipped and staffed
6-for dealing with persons having radiation injuries. The plan indicates that, whenever necessary, such persons will be transferred to this major hospital facility for extended, specialized treatment.
GSEP Section 6.5.4. The plan identifies Northwestern Memorial Hospital in Chicago, Illinois, as this major medical facility for all of Commonwealth Edison's nuclear stations, and indicates that the Applicant shall provide medical consultants to aid in any special care, as necessary, at this facility. Id.
- 13. The plan states that the Station Superintendent is responsible for making an annual contact with organizations with which the Station has formal agreements for support during an emergency. This annual contact consists of a written invitation for members of these organizations to visit the Station, discuss the emergency plan, and to familiarize themselves with plant facilities and personnel. For organizations which provide specialized services during a radio-logical emergency, such as medical and ambulance services, the plan states that there will also be an annual written offer to train persons in these organizations relative to their emergency support roles. Those organizations having personnel who may have need to enter the site shall also be offered annual training as to the identities (by position and title) of persons in the onsite organi-zation who will control their support activities while they are onsite. The Applicant's plan also includes a commitment for conducting an annual medical drill, which contains provisions for participation by local support organizations, such as the local
- - . - n- - . - - . - - , - - .
I hospital and ambulance service. The Commonwealth Edison Division Vice-President, Nuclear Stations, and his staff are responsible for ensuring that this drill is scheduled and conducted. GSEP Sections 8.2, 8.3.1 and 8.3.2.5.
- 14. The Applicant's emergency plan identifies both a local hospital and a major medical facility with which formal letters of agreement have already been executed for the treatment of any persons located at the Braidwood Station who may have been exposed to dangerous levels of radiation. Both institutions are already under agreement to receive victims of radiological accidents from one or more of the Applicant's operating nuclear generating stations. The Applicant maintains a roster of physicians and other medical specialists who are qualified to treat victims of radiological accidents. These medical personnel would be made available at either the local hospital or major medical facility, as necessary, to take direct charge or advise in the the care of patients. The plan identifies a local organization with which a formal Letter of Agreement has been executed for providing 24-hour ambulance service, for onsite victims of radiological accidents, from the Braidwood Station to the local hospital. The plan also describes provisions for offering annual training, including drill participation, on radiological emergency support roles for local ambulance services and local hospital staffs. Due to the nature of radiological exposure injuries, the NRC has concluded that any medical treatment needed for cases of extreme exposure would not be imediate, as may be required for
_e-treatin'g injured workers who may also have become radiologically contaminated. Thus, any medical treatment for radiologically exposed persons could be arranged for on an ad hoc basis.
- 15. In conclusion, the portions of the Applicant's emergency plan regarding the provision of medical treatment to operating personnel who might be, injured in the event of an accident, including transportation to medical facilities equipped to treat radiation casualties, has been reviewed by the Staff in light of the requirements set forth in 10 C.F.R. 5 50.57(b)(12) and 10 C.F.R. Part 50, Appendix E, Para-graph IV.E and the guidance set forth in NUREG-0654, Revision 1,Section II, Paragraph L and found to be in compliance with said requirements and guidance.
,. . .J'.. Y *. ..?*,*.*
N,
)
g , p ; . ?. .T.' '*.
.~J 8) ] '*4 , 5,'"
. . . \ ' ** >..s.u . h hy.<
, Thomas J. Ploski Subsc ciDec arid woe'.) to before me t.his 10th day of July,1985 7h'!d i e a Not.ary PubIic
>:. e //
My c:omminion e>pice : ,,}'j',.{6 :
TH0VAS J. PLOSKI Position Emergency Preparedness Analyst Emergency Preparedness Section Emergency Preparedness and Radiological Protection Branch Division of Radiation Safety and Safeguards U.S. Nuclear Regulatory Commission Region III Birthdate May 16, 1947 Education B.S. in Meteorology - Penn State University (1971)
B.A. in Chemistry - Illinois Institute of Technology (1970)
Graduate level studies in Environmental Engineering -
University of Tennessee (1977-1978) and Illinois Institute of Technology (1978)
Graduate studies in Business Administration-De Paul University (1979-1984)
Experience Emergency Preparedness Analyst - Reviews and evaluates (1982-present) nuclear power reactor emergency plans and related implementing procedures for compliance with applicable regulatory require-ments and guidance. Serves as primary emergency preparedness reviewer for assigned facilities. Functions as inspection team leader, as assigned, for emergency preparedness exercise, routine, and appraisal inspections. Prepares related NRC inspection reports and verbally presents preliminary inspection findings to NRC and licensee management, as needed. Prepares relevant inputs to Systematic Assessment of Licensee Performance (SALP) report for assigned facilities. Assists, as requested, in the development and preparation of suggested improvements to the emergency preparedness program.
Participates, as needed, in actual incident response situations. (NRC)
(1980-1982) Staff Meteorologist - Managed or assisted in the performance of air quality impact assessment and regulatory impact assessment studies for a variety of industrial clients.
Performed related atmospheric dispersion modeling and
. meteorological and air quality data analyses, as needed.
Prepared portions of related technical reports for submission to clients and or regulatory agencies. (Dames 8 Moore)
(1978-1980) Staff Meteorologist - Prepared meteorological sections of a Final Safety Analysis Report and an Environmental Report for a proposed nuclear power plant. Performed related data analyses. Performed air quality impact assessments, as needed, in support of coal-fired power plant permitting and siting studies. Reviewed the quality of onsite meteorological data collected by consultants at several nuclear power plant sites, and assisted in an evaluation of consultants to perform one such task. (Sargent & Lundy)
(1974-1978) Staff Meteorologist - Trained and managed a small staff responsible for the quality control of meteorological data collected at nuclear and coal-fired power plant sites.
Developed related data review and quality assurance procedures. Interfaced with monitoring system engineers and technicians, as needed, to improve program capabilities to promptly identify and correct causes of invalid data collection. (Tennessee Valley Authority)
(1970-1974) Weather Officer - Conceived 24-hour weather forecasts for an Air Force base. Issued weather warnings and advisories, as needed. Briefed aircrews and senior officers on weather conditions affecting aircraft operations. Analyzed current meteorological conditions forecasts and interpret and forecasting others' forecasts. aides (U.S. to Airdevelop Force )
. _ _ . . - . .