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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20149E4541994-05-13013 May 1994 Licensee First Set of Interrogatories & Request for Production of Documents to Eco.* W/Certificate of Svc. Related Correspondence ML20058P3701993-12-16016 December 1993 Memorandum & Order (Telcon 931209).* Smud Unopposed Motion Granted.W/Certificate of Svc.Served on 931217 ML20058P4161993-12-15015 December 1993 Licensee Petition for Review of Second Prehearing Conference Order & Motion for Directed Certification.* Advises That Commission Accept Review & Grant Directed Certification of Board Rulings.W/Certificate of Svc ML20058E0471993-11-30030 November 1993 Second Prehearing Conference Order (Proposed Contentions; Summary Disposition).* Environmental & Resources Conservation Organization Bases 1,5,11,13,2 & 14 Accepted for Litigation.W/Certificate of Svc.Served on 931201 ML20058E0361993-11-30030 November 1993 Transcript Corrections (Second Prehearing conference,930921- 22).* Board Adopts Listed Corrections.W/Certificate of Svc. Served on 931201 ML20058D6481993-11-19019 November 1993 Exemption from Requirements of 10CFR140.11(a)(4) to Extent That Primary Financial Protection in Stated Amount Shall Be Maintained ML20058E0151993-11-14014 November 1993 Comment Opposing Proposed Rule 10CFR50 Re Exemptions in Accident Insurance for Nuclear Power Plants Prematurely Shut Down ML20057G2181993-10-14014 October 1993 Proposed Transcript Corrections.* Submits Listed Transcript Corrections for 930921 & 22 Prehearing Conference. W/Certificate of Svc ML20058M8951993-10-0505 October 1993 Order (Proposed Transcript Corrections).* Util Submitted Proposed Transcript Corrections for 930921-22 Prehearing Conference.Other Parties May Submit Proposed Corrections by 931015.W/Certificate of Svc.Served on 931005 ML20058M8581993-10-0101 October 1993 Licensee Motion to Correct Transcript of Prehearing Conference.* Requests That Licensing Board Direct Correction of Prehearing Conference Trancript in Manner Described Above.Certification of Svc& Svc List Encl ML20057D0861993-09-27027 September 1993 NRC Staff Response in Support of Licensee Motion for Summary Disposition of Eco Original Loop Contention.* Summary Disposition Should Be Granted.Certificate of Svc Encl ML20057D1021993-09-27027 September 1993 Eco Answer in Opposition to Smud Motion for Summary Disposition of Eco Original Loop Contention.* Urges Board Either to Deny Motion or to Defer Consideration of Smud Motion to Conclusion of Proceeding.W/Certificate of Svc ML20057D1351993-09-27027 September 1993 Eco Concise Statement of Material Facts as to Which There Exists Genuine Issue to Be Heard.* Eco Original LOOP Contention Continues to Present Justifiable & Matl Issues Requiring Denial of Smud Motion.Certificate of Svc Encl ML20057D1891993-09-27027 September 1993 Exemption from Training rule,10CFR50.120 Requirements to Establish,Implement & Maintain Training Program,Using Sys Approach to Training,For Categories of Personnel Listed in 10CFR50.120.Exemption Effective 931122 ML20057D0451993-09-24024 September 1993 Notice of Hearing.* Notifies That Hearing Will Be Conducted in Matter of Proposed Decommissioning of Plant.W/Certificate of Svc.Served on 930924 ML20057D0441993-09-23023 September 1993 Notice of Appearance.* Notice Given That Undersigned Attorney Enters Appearance in Listed Matter & Listed Info Provided.W/Certificate of Svc ML20057C0851993-09-22022 September 1993 Transcript of 930922 Hearing in Bethesda,Md Re Facility.Pp 387-579 ML20057B9611993-09-21021 September 1993 Transcript of 930921 Hearing in Bethesda,Md.Pp 181-386 ML20057B0091993-09-10010 September 1993 Memorandum & Order CLI-93-19.* Informs That Further Questions of Board Re Effect of Commission Holding in Issues Concerning CLI-93-3 & CLI-93-12 Should Be Certified to NRC, Per 10CFR2.718(i).W/Certificate of Svc.Served on 930910 ML20057B0051993-09-0707 September 1993 Licensee Motion for Summary Disposition of Environ & Resources Conservation Organization Original Loop Contention.* Advises That Contention Presents No Genuine Issue of Matl Fact to Be Heard & Should Be Dismissed ML20057B0101993-09-0707 September 1993 Licensee Statement of Matl Facts as to Which There Is No Genuine Issue to Be Heard (Environ & Resources Conservation Organization Original Loop Contention).* Advises That Contention No Longer Matl Issue.W/Certificate of Svc ML20057A1721993-08-31031 August 1993 Notice of Prehearing Conference.* Notifies of 930921 Prehearing Conference in Bethesda,Md to Discuss Proposed Decommissioning of Plant.W/Certificate of Svc.Served on 930901 ML20128D4951993-01-28028 January 1993 Notice of Appointment of Adjudicatory Employee.* W/Certificate of Svc.Served on 930129 ML20127D5091992-09-11011 September 1992 Environ & Resources Conservation Organization Brief in Support of Appeal from LBP-92-23.* Certificate of Svc Encl ML20127D4711992-09-0808 September 1992 Notice of Appeal.* Gives Notice of Appeal from Order of Board (Served 910821),denying Environ & Resources Conservation Organization Petition for Intervention & Request for Hearings & Termination of Proceedings ML20141M5981992-08-20020 August 1992 Prehearing Conference Order (Terminating Proceeding).* Petition for Leave to Intervene & Request for Prior Hearing of Petitioner, ,denied & Proceeding Terminated. W/Certificate of Svc.Served on 920821 ML20141M5881992-08-17017 August 1992 NRC Staff Response in Support of Licensee Motions to Strike Improper Argument in Environmental & Resources Conservation Organization (Eco) Filings.* Further Argument by Eco Unauthorized.Certificate of Svc Encl ML20058G9051990-10-23023 October 1990 Comment on Fr Notice Page 41280 to 41282 Re Smud Possession Only License Amend.Believes Termination of Plant OL Prior to End of Authorized Operating Term Will Have Significant Impact on Environ Sources Needed to Generate Power ML20247K3691989-08-29029 August 1989 Transcript of 890829 Status Briefing W/Util in Rockville,Md Re Plant.Pp 1-104.Supporting Documentation Encl ML20246B1001989-06-28028 June 1989 Grants Exemption from 10CFR20,App A,Footnote d-2(c) Requirements to Allow Use of Radioiodine Protection Factor of 50 for MSA GMR-I Canisters at Plant ML20245G6761989-04-0707 April 1989 Transcript of 890407 Briefing on Plant in Rockville,Md.Pp 1-64.Related Matl Encl ML20247R4391989-04-0707 April 1989 Transcript of Commission 890407 Press Conference in Rockville,Md.Pp 1-14 ML20248E9091989-03-29029 March 1989 Exemption from 10CFR50,App J Requirements to Permit one-time Extension for Certain Local Leak Rate Tests to Cycle 8 Refueling Outage & Changes to Surveillance Period for Local Leak Rate Tests of DHR Suction Piping ML20247C9031989-03-21021 March 1989 Director'S Decision Under 10CFR2.206 Re Denial of Request to Shut Down Facility Based on Allegation That Util Disregarded Public Health & Safety Per 1980,1984 & 1988 Incidents ML20247C9501989-03-21021 March 1989 Notice of Issuance of Director'S Decisions Under 10CFR2.206 ML20235S4121989-02-24024 February 1989 Comment on Proposed Rules 10CFR50 & 55 Re Educ of Senior Reactor Operators.Alternative 2 Preferable.Util Suggests That Neiter Be Imposed.Both Alternative Could Cause Immediate & long-term Impact on Plant Safety ML20235T9061989-02-19019 February 1989 Comment on Proposed Rules 10CFR50 & 55 Re Educ & Experience Requirements of Senior Reactor Operators & Supervisors. Requirement for Educ from Source Other than Industry Will Probably Cut Into Time Allotted for Training Now Received ML20206M5991988-11-18018 November 1988 Comment Supporting Proposed Rule 10CFR26 Re NRC Fitness for Duty Program.Recommendations Listed ML20155D5601988-10-0303 October 1988 Exemption from Property Insurance Rule (10CFR50.54(w)(5)(i)) Until Rulemaking Finalized But No Later than 890401 ML20207E6721988-08-0404 August 1988 Exemption from Requirements of 10CFR50.71,extending Date for Submittal of Amend 6 of Updated SAR ML20148K0181988-03-22022 March 1988 Transcript of 880322 Public Meeting in Washington,Dc Re Discussion/Possible Vote on Facility Restart.Related Info Encl.Pp 1-113 ML20148J3811988-03-22022 March 1988 Director'S Decision Under 10CFR2.206 Re T Bradley,Mayor of Los Angeles,Ca,Petition Requesting NRC to Conduct Public Hearing & Permanently Close Plant.For Reasons Discussed, Petition Denied ML20236A7691987-10-16016 October 1987 Transcript of 871016 Briefing in Washington,Dc on Status of Plant.Pp 1-72.Supporting Documentation Encl ML20215D6741987-06-12012 June 1987 Suppl 4 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.Ucs Reply to Responses from NRC & B&W Owners Group.* Certificate of Svc Encl ML20210B8041987-04-27027 April 1987 Receipt of Petition for Director'S Decision Under 10CFR2.206.* Notice of Receipt of B Moller 870225 Petition to Show Cause Why Facility Should Not Be Restarted or Completely Shut Down ML20247F0451987-04-0707 April 1987 Transcript of 870407 Investigative Interview W/Rj Rodriguez in San Diego,Ca ML20210C4191987-04-0606 April 1987 Principal Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Petition Should Be Denied ML20247F0821987-04-0303 April 1987 Transcript of Investigative Interview W/Rw Colombo on 870403 in Rancho Cordova,Ca ML20055D6961987-03-25025 March 1987 Transcript of 870325 Investigative Interview W/Ra Dieterich at Rancho Cordova,Ca.Pp 1-45 ML20055D7101987-03-25025 March 1987 Transcript of 870325 Investigative Interview W/Rc Lawrence at Rancho Cordova,Ca.Pp 1-49 1994-05-13
[Table view] Category:PLEADINGS
MONTHYEARML20058P4161993-12-15015 December 1993 Licensee Petition for Review of Second Prehearing Conference Order & Motion for Directed Certification.* Advises That Commission Accept Review & Grant Directed Certification of Board Rulings.W/Certificate of Svc ML20058M8581993-10-0101 October 1993 Licensee Motion to Correct Transcript of Prehearing Conference.* Requests That Licensing Board Direct Correction of Prehearing Conference Trancript in Manner Described Above.Certification of Svc& Svc List Encl ML20057D0861993-09-27027 September 1993 NRC Staff Response in Support of Licensee Motion for Summary Disposition of Eco Original Loop Contention.* Summary Disposition Should Be Granted.Certificate of Svc Encl ML20057D1021993-09-27027 September 1993 Eco Answer in Opposition to Smud Motion for Summary Disposition of Eco Original Loop Contention.* Urges Board Either to Deny Motion or to Defer Consideration of Smud Motion to Conclusion of Proceeding.W/Certificate of Svc ML20057D1351993-09-27027 September 1993 Eco Concise Statement of Material Facts as to Which There Exists Genuine Issue to Be Heard.* Eco Original LOOP Contention Continues to Present Justifiable & Matl Issues Requiring Denial of Smud Motion.Certificate of Svc Encl ML20057B0051993-09-0707 September 1993 Licensee Motion for Summary Disposition of Environ & Resources Conservation Organization Original Loop Contention.* Advises That Contention Presents No Genuine Issue of Matl Fact to Be Heard & Should Be Dismissed ML20057B0101993-09-0707 September 1993 Licensee Statement of Matl Facts as to Which There Is No Genuine Issue to Be Heard (Environ & Resources Conservation Organization Original Loop Contention).* Advises That Contention No Longer Matl Issue.W/Certificate of Svc ML20141M5881992-08-17017 August 1992 NRC Staff Response in Support of Licensee Motions to Strike Improper Argument in Environmental & Resources Conservation Organization (Eco) Filings.* Further Argument by Eco Unauthorized.Certificate of Svc Encl ML20215D6741987-06-12012 June 1987 Suppl 4 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.Ucs Reply to Responses from NRC & B&W Owners Group.* Certificate of Svc Encl ML20210C4191987-04-0606 April 1987 Principal Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Petition Should Be Denied ML20205F2911987-03-23023 March 1987 Suppl 3 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Requests That Listed Names Be Added to List in Paragraph 1 of 870210 Petition ML20210C2691987-03-0606 March 1987 Initial Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Request for Immediate Suspension Should Be Summarily Denied.W/Certificate of Svc ML20211F5091987-02-20020 February 1987 Suppl 2 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Lists Names to Be Added to 870210 Petition & Corrects Address for Save Our State from Radwaste ML20210N4861987-02-10010 February 1987 Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W Co.* OLs & CPs for Facilities Should Be Suspended Until Listed NRC Actions Taken ML20137L5911985-09-10010 September 1985 Response Opposing Jf Doherty 850611 Petition for Show Cause Order Requesting NRC to Institute Consolidated Proceeding Per 10CFR2.202.Certificate of Svc Encl ML20126A3531985-06-11011 June 1985 Petition/Request for Order to Show Cause Why Plants Should Not Be Shut Down Until CRD Mechanisms Inspected ML20126A8321980-02-0404 February 1980 Response by CA Energy Commission to Licensee Motion for Summary Disposition Re G Hursh & R Castro Contentions. Contention Closely Relates to ASLB Questions.Motion Should Be Denied to Avoid Confusion ML20126A8391980-02-0404 February 1980 Statement of Matl Facts by CA Energy Commission (CEC) in Support of CEC Response to Licensee Motion for Summary Disposition of CEC Issue 5-2.Disputes Licensee Facts Re Commercial Availability of Filtered Sys.Proof of Svc Encl ML20126A8441980-02-0404 February 1980 Response by CA Energy Commission (CEC) in Opposition to Licensee 800124 Motion for Summary Disposition Re CEC Issue 5-2.General Design Criteria 16 & 50 Established in 10CFR50, App A,Does Not Prohibit Controlled Filtered Venting ML20136B7091979-06-22022 June 1979 Demands Immediate Shutdown of Plant 1993-09-07
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CALI?]RNIA E'.;IRG Y C0"1IS SION ' 3 RESPO::5I TJ LICE NSEE ' S ' OTIC" F:3 SUMMAn DISP 05:!'0?.
OF CO?: TINT:3Nd 5-2 3Y THE C ALIFOR:::2
- yec .. v. . r. eJ r. 3 S r m.J Pars; ant to 13 C.7.R. see:Lon 2.749, the ~111 Corn.1 4
Er.ergy Co nission ("CE:") sub its this "ecoonse to the Licensee's motion for summary dispositi:n of CI: Issue ';;. -
5-2, filad Jar :ary 24, 1-?l; . :EC Issae 5-2 pr.:idet as l follows:
1 "Whether the containcent building should I be modified to provide overpressurination protection with a controlled filtered venting system to mitigate unavoidable releases of radior.uclides?'
.The Licensee bases its mo: ion principally upon the premise that Rancho Seco meets the General Design Criteria for aclear power plants set forth in 19 C.F.R. Part 50, Aprendix A. and
_ _ _ - - - - - . - - _ . = __-_
- 7:r the convenience of the Beard, the CEC has ' allowed the Corm of the Licensee's ' lotion in desi;niting 1: 3 R e s po r.s e ,
Mcwever, we note that :he correct designation el the surfect o f this motion is " CEC Issue \' . 5-2", nat "Cor: en tion -2 " .
The Licensee's phrace is 1..preter insofar as i: ignores the "intercated state" sta:as of the CEC. ice 10 J.7.R. see:Lon 2.?!5(c).
1 4
8002260
that therefore the Licensing Board is not empowcre_ to e x a r. _ :.
other safety measures such as controllcd filtered 'centing. See Licensee's Brief in Support of Its Motion for Summary Disp: 2;; ion of Contention 5-2 by the California Energy Commission (hereafter
" Licensee's Brief"), at p. 3-5. However, the General Desig.-
Criteria are minimum standards which do not preclude this 3:ard frc:
considering such additional measures which may be necessar'; o ensure public safety. The introduction to the General Design Criteria makes this point explicitly:
"These General Design Criteria establish minimum requirements for the principal design criteria for water-cooled nuclear power plants similar in design and location to plants for which construction permits to be generally applicable to other types
, of nuclear power units and are iatended I to provide guidance in establishing the principal design criteria for such other units.
There will be some water-cooled power plants for whicn the General Design Criteria are not sufficient and for which additional criteria must be identified and satisfied in the interest of public safety."
l 10 C.F.R. Part 50, Appendix A (emphasis supplied)
The Commission's authority to require controlled filtered venting, and hence this Board's,1/ is limited only by the l
l l
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- 1. The Commission's June 21, 1979, order delegated to this 30ard l its authority to require any measures necessary to ensure tha: l Rancho Seco will respond to feetwater transients safely. ,
1
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- - ll require ent :ha; tha Beard find tha it "w___ provide subs;antial, add;;i nal ::ot e cti n v .icP is requ; red for the pub;_c heal:
and safety :: the c:mmon defense ar.i securi y". 10 ^ F.R. section 50._39. This au hority is .:t dimin;shed b; the issuance cf an operating 1;:ense, whic' presumably included a deterrinatier that the f acilit-i meets General Casign Cr;teria. See Gulf States Util-itie s C:mpa.-; (River Bend Station, .'n i t s 1 and 2), A1AB-444, 6 NRC 760, 76- (1977).1, The Licensee 's me: ion further sug;ests that this Board c:uld not require ;ontrol;2d diltered venting at E2ncho Se:o because I sucP a system would .ecessarily violate Criteria Nos. 16 and 30 o f the 10 C . F . R . 50, Appendix A, General Design Criteria. See Licensee'J 3rief at p. 5 - @; A f f i d a *.* i: vf Robert A. Dieteric'c at
- p. 3. The CIC disputes this "f act" and therefore su: mary disposi-tion based upon it is not appropria:e. See Affidavi: of Daniel Nix, attached.
Moreover, as a matter of law, the General Design Criteria which the Licensee claims prohibits controlled filtered venting do not. Cri:erion No. 16 states:
" Criterion 16 - Containment design. Reactor containment and associated sys: ems shall be provided to establish an essentially leak-tight barrier against the uneentrolled release of radioacitivity to the environment and to
- 2. The Comm' asica is authorized to amend licenses based uper safety conditions ne: withstanding its prior licensinc decisiens pursuan to section IS6(a) of the Atenic Ene:;gy Act. See F:.
Pierce C:llities Authority of the Ci:1 of Ft. Pierce v. United States cf America an? the Nuclear Rc aula tory s'ammiss.On, 600 F.2d 3% (D.C. Cir. 1979).
_4_
assure t P '. : thi cor.: air men: design cor. iticns in ; ortant to safet; ars not ex:s ed ed f as 1cc .
as pos:ulated i:cident :and;;i: .s requ;re.
(1C :.P.R. 5:, Appenfix A, enphasis supplied) .
_ . By defini :an, con rolled filtered centing foes no: permit "uncontrclied re' eases of radi:ac tivity to the environ:ent."
_ I:s purpose is to prevent :: titigate sucP releases, and $.snce it is consistent wl:n tne reanir.g o:. Crl:eri:n No. ,:. _ Sim _arly, Criterion No. 50, whi:P the Licensee also clains prohibits controlled filtered ventir.g , onl; require s cor. tai. ment of pressures from design basis accidents:
" Criterion 50 - Contain:ent design basis. The reactor contair. rent stru:ture, including access openings, penetrations,:Ki the containment heat removal system shall be designef so that the cor.t airmen struct,5:e and its r.:ernal ::mparp-ments can accennodate, without exceedir; the design lea.% age rate and with suf ficient margin, the calculated cressure and temperature conditions resulting from any loss-of-coolant accident.
. . .H (10 C . F .R . 50, AppendiF. A) l The Licensee itself asserts that controlled filtered venting -
is meant to mitigate accidents more severe thar the design basis accident. E.g. Affidavit of Rcbert A. Dieterich, paragraph 3. Its ,
I simultaneous contentien that centrolled filtered ventir; will violate criterion :;o. ;
.] is cor.troverted by its own assertion. l Controlled filtered v:nting wculd not lessen the the ability l 1
of Rancho Secc to contain design basis .7.ccidents because it would l l
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be actuated only by . ore sev2:e . cifsnts. A ordir 7;y, the Licensee's argument hnt control _-: ! f itered
_ ertin: c uld /_;; ate criterion No. 50 is .tithcut sri:.
Finally, even if controll:d f;_ tered vanting seculf cause a violation of these criteria, :his Board could order the Licerree to implement such a system if it finds such action is necessary to ensure public safe:y. The General Design Criteria expressly allow such exceptions: l "Also, there may be water-cooled nucln"- l power units for which the fulfillment cf I some of the General Design Criteria mai not be necessary or appropriate. For the General Design Criteria mus: be identified and justified." (1: C.F.R. 50, Appendix A, Introductica).
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Several issues before this 3 card concern possibib sansiti' cities '
1 unique to the Babcock and Wilcox design. E.c. Board Questien No. I 1
l 3; Hurch and Castro Contentions Nos. 2, 6, 21, and 26. Following i 1
1 the hearings, the Board may conclude that such sensitivities (or other f actors) justify consideration of controlled filtered ;
1 venting even if it departs frem some of the General Design Criteria. )
l The Licensee also urges the Board not to consider controlled filtered venting systems because they are meant to mitigate Class-9 accidents. Licensee's Brief a: p. 6-S. In support cf this argument it cites the Commission's his:Oric policy of not considering :he environmental impacts of such accidents in its licensing decisions.
But that policy should not guide the Scard in this un:que inquiry.
This case presents sound legal and policy reasons for considering Class-9 accidents. This hearing is not a licensir.; procee ing , and the preparation of an environmental impact statemen; is not an issue here. Hence, the Commission's policy provides little guidance to the Board in this case. More importantly, the Commission's June 21 order makes clear that the subject of this hearing is the adequacy of the Commission's May 7 Order - an order that sought in essence to prevent the Three Mile I.cland accident from being repeated at Rancho Seco. Three Mile Island was a Class-9 accident. See "NRC Staff Response to Board Question No.
4 Regarding the occurrence of a Class-9 Accident at Three Mile Island," August 24, 1979, In re Public Service Electric and Gas Co.
(Salem Nuclear Generating Station, Unit No. 1), Docket No. 50-272;
" )
see also In re Pennsylvania Power and Light and Allegheny Electric Cooperative (Susquehanna Steam Electric Station, Units 1 and 2),
Docket Nos. 50-387 and 50-388; " Memorandum and Order Concerning Class-9 Accident Contention" (October 19, 1979) published in Muclear Regulation Reporter, Vol. 2, t30,426. .
The purpose of this hearing is to consider the potential for a Class-9 accident at Rancho Seco. The Board can not conduct the hearing ordered by the Commission without considering Class-9 accidents. For this reason, this hearing is distinguishable from those licensing proceedings cited by the Licensee where the Commis-sion's interim policy was applied to exclude Class-9 accidents generally. More in point is the recent opinion in the matter of Pennsylvania Power and Light Company and Allegheny Electric Cooperative, supra. There a Licensing' Board ruled it would hear
a contention involving, inter alia, -itigatic. measures for Class-9 accidents. The Board noted trat thu :cmr_ss_- 's pol _:7 excl_ ling Class-9 accidents is not absolute. ;i .ere the _i%e11..::d of a Class-9 accident at a particular reactor is greater c.a n for Yehctors generally, the Board hel,. that the p:lici dess obtain.
Furthermore, the Board in Pennsylvania Power I; reed that foll;i.ing Three Mile Island "it can no longer be said that the probabil;;y of such an accident occurring is so 10w or remote as : preclufe discussion" (Ibid, ii3 0,4 2 6. 0 4 ) . It therefore admittef the contention, even though the subject of the hearing was the licensing of a boiling water reactor unlike TMI-2. The cery purpose of the instant hearing is to consider the implications of the TMI-2 accident at a substantially identical facility. Theref:re, the case for considering such accidento here is eve- stronesr thas ;r Pennsilvania Power. That decision and the Commission's June 21 Order provide compelling support for the consideration of such accidents in this proceeding.
Finally, the Licensee's motion asserts that the Board should not hear this issue because controlled filtered venting is not
" commercially available". The CEC agrees with the Licensee that considerable developmental work would be necessary before such a system could be implemented at Rancho Seco. Tne CEC also agrees with the Licensee that it should not be made te solve generic reactor safety problems alone.
However, the CEC understands that the NRC is study;n the generic feasibility of such systems. Furthermcre, muir of the
de tele:; , ental . cork that wculd precede the backfitting of Rancho Seco with such a system is specific to that facility. 'Zh 2 expertise necascary to accomplish this work is available. ::ix ; paragraph
- 5. If the evidence brought forward in the hearing suggests that the site specific feasibility of controlled filtered venting can not be determined at this time because of generic problems, the Board can make appropriate findings. But if the evidence suggests otherwise, the Board may determine that the Licensee should conduct a specific feasibility study. Nothing in MRC rules or this Board's mandate limits its authority to order such a study.
In conclusion, the Licensee seeks to dispose of this issue without examining the merit of implementing controlled filtered venting at Rancho Seco. Nothing in Du authoriti=:s that govern, this hearin; )
directs the Board to avoid such safety questions. Indeed, this I Board's mandate is the opposite. The Licensee's ' notion should be l
denied.
I Dated: February 4, 1980 bi d,
./snectfully su# m tte
.M .. .
2 >
CHRI OPHER ELLISOS I
.. N O LAWRENCE C. LANPtER h
Attorneys for the California Energy Commission
.