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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20210U4531999-08-12012 August 1999 Comment Opposing Proposed Rule 10CFR50 Re Consideration of Potassium Iodide (Ki) in Emergency Plans.Urges NRC to Retain Current Policy for Ki Usage GO2-97-089, Comment Supporting Proposed Rule 10CFR73 Re Changes to Power Plant Security Requirements1997-05-0707 May 1997 Comment Supporting Proposed Rule 10CFR73 Re Changes to Power Plant Security Requirements ML17292A7151997-02-25025 February 1997 Comment Supporting Proposed Generic Communications, Effectiviness of Ultrasonic Testing Sys in ISI Program. ML20134L3351997-02-14014 February 1997 Order Imposing Civil Monetary Penalty Re Licensee Activities Conducted from 960628-960904 ML17291A9101995-07-0707 July 1995 Comment on Review of NRC Insp Rept Content,Format & Style. NRC Insp Repts Should Provide Balanced Perspective, Reflecting Licensee Strengths & Positive Aspects of Programs & Activities Reviewed GO2-95-080, Comment on Proposed GL, Pressure Locking & Thermal Binding of Safety-Related Power-Operated Gate Valves. Util Believes That Ability to Justify Actuator Capability by Analysis Should Not Be Restricted to Population of Small Valves1995-04-26026 April 1995 Comment on Proposed GL, Pressure Locking & Thermal Binding of Safety-Related Power-Operated Gate Valves. Util Believes That Ability to Justify Actuator Capability by Analysis Should Not Be Restricted to Population of Small Valves GO2-94-187, Comment Opposing Proposed Rule 10CFR26 Re Consideration of Changes to FFD Requirements1994-08-0808 August 1994 Comment Opposing Proposed Rule 10CFR26 Re Consideration of Changes to FFD Requirements ML20058L9561993-07-26026 July 1993 Decommissioning Trust,Consisting of Asset Summary for Period Ending 930630,asset Summary Adjusted for Accurals for Period Ending 930630 & List of Assets as of 930630 ML20045D7551993-06-18018 June 1993 Comment on Proposed Rule 10CFR26 Re Mods to fitness-for-duty Program Requirements.Supports Rule W/Listed Exceptions ML20044E1511993-05-30030 May 1993 Comment Supporting Petition for Rulemaking PRM-50-58 Re VEPCO Petition to Change Frequency of Emergency Planning Exercises from Annual to Biennial ML17290A3901993-05-21021 May 1993 Comments on Proposed Insp Procedure 38703, Commercial Grade Procurement Insp. ML17289A9151992-10-0909 October 1992 Comment on Proposed Changes to SALP Program.Util Supports Comments Being Filed by NUMARC & Legal Firm of Winston & Strawn GO2-92-164, Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Detailed Comments Submitted by Numarc,As Representing Licensee Views1992-07-10010 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Detailed Comments Submitted by Numarc,As Representing Licensee Views GO2-92-136, Comment Supporting Proposed Rules 10CFR19 & 20 Re Extension of Implementation Date Concerning 10CFR201992-06-0404 June 1992 Comment Supporting Proposed Rules 10CFR19 & 20 Re Extension of Implementation Date Concerning 10CFR20 ML20091D1631992-04-0303 April 1992 Comment Opposing Proposed Rule 10CFR2 Re Policy & Procedure for Enforcement Actions.Concerned That Policy Seems to Be Creating New Requirements Through Examples Given ML20091Q8661992-01-31031 January 1992 Comment Opposing Draft NUREG-1022,Rev 1, Event Reporting Sys,10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting ML17289A2931992-01-24024 January 1992 Comment on Draft Reg Guide Task DG-8007 (Proposed Rev 1 to Reg Guide 8.7) Re Instructions for Recording & Reporting Occupational Radiation Exposure Data ML17289A2541992-01-0606 January 1992 Comment on Draft Reg Guide Task DG-8004 Re Radiation Protection Programs.Reg Guide Provides Good Guidance for Maintaining Effective Radiation Protection Programs Aimed at Achieving Occupational Doses That Are ALARA GO2-91-103, Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery1991-05-16016 May 1991 Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery GO2-90-181, Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty. Rev Would Restrict Licensee from Taking Appropriate Action on Preliminary Positive Test1990-10-30030 October 1990 Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty. Rev Would Restrict Licensee from Taking Appropriate Action on Preliminary Positive Test ML17285B3701990-07-0505 July 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Frequency of FSAR Revs,Per 10CFR50.71(e)(4) Requirements GO2-89-115, Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Plant Structures,Sys & Components. Util Accepts NUMARC Comments1989-07-0606 July 1989 Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Plant Structures,Sys & Components. Util Accepts NUMARC Comments ML20247N7531988-07-28028 July 1988 Petition for Rulemaking PRM-50-53 Requesting NRC Action to Review Undue Risk Posed by BWR Thermal Hydraulic Instability.Nrr Should Issue Order Requiring All GE BWRs to Be Placed in Cold Shutdown for Stated Reasons ML17279A8041987-10-19019 October 1987 Endorsement 28 to Nelia Policy NF-270 ML20098C8851984-08-24024 August 1984 Undated marked-up Transcript of Jj Stein Testimony Re Util Financial Qualifications to Design & Construct Nuclear Reactor ML20082K0471983-10-14014 October 1983 Show Cause Petition Requesting Revocation of CP & Denial of OL ML20082K0301983-10-13013 October 1983 Affidavit of Sandler in Support of Coalition for Safe Power 831014 Show Cause Petition ML20072N4411983-07-0808 July 1983 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20072H2981983-03-25025 March 1983 Brief in Opposition to Coalition for Safe Power Appeal from ASLB 830222 Memorandum & Order Dismissing 820223 Petition to Intervene.Petitioner Failed to Particularize & Support Contentions.Certificate of Svc Encl ML20069D3441983-03-10010 March 1983 Brief Supporting Appeal from ASLB 830222 Memorandum & Order. ASLB Erred in Concluding Petitioner Failed to Show Dilatory Conduct by Util & Was Not Entitled to Hearing on CP Extension.Certificate of Svc Encl ML20069D2761983-03-10010 March 1983 Notice of Appeal of ASLB 830222 Memorandum & Order on Issue of Util Delay ML20070M6521983-01-24024 January 1983 Response in Opposition to Coalition for Safe Power 820223 Request for Hearing on Amend to CPPR-93.Petitioner Failed to Establish Interest in Proceeding or How Interest Will Be Affected by Proceeding.Certificate of Svc Encl ML20028C7851983-01-10010 January 1983 Suppl to Request for Hearing & Petition for Leave to Intervene,Listing Contentions.Certificate of Svc Encl ML20070J0401982-12-22022 December 1982 Response Supporting Coalition for Safe Power 821209 Motion for 1-wk Delay of Prehearing Conference Scheduled for 830119-20.Applicant Does Not Concede That Basis for Request Constitutes Good Cause.Certificate of Svc Encl ML20070D0001982-12-0909 December 1982 Motion for Delay of 830119 & 20 Prehearing Conference. Schedule Burdensome Due to Two Major Holiday Periods.Four Days of Preparation Lost.Certificate of Svc Encl ML20049J2331982-03-10010 March 1982 Answer Opposing Coalition for Safe Power 820223 Request for Hearing on CP Amend.Cp Amend Involves No Significant Hazards Consideration.Alternatively,Petitioner Failed to Meet Interest,Affects & Aspect Stds.Certificate of Svc Encl ML20049H5231982-02-22022 February 1982 Requests for Public Hearing Re Order Extending Const Completion Date.States Interest & Specific Aspects & Contentions Affecting Petitioners.Certificate of Svc Encl ML20009E3061981-07-23023 July 1981 Response Opposing Porter County Chapter Intervenors' 810519 Fourth Request for Production of Documents.Request Is W/O Merit & Should Be Denied ML20098D0881980-04-25025 April 1980 MOU Between WPPSS & Doe,Acting by & Through BPA Re Roles & Responsibilities Under Project Agreements Concerning Const & Operation of Net Billed Projects ML17272A8861980-02-0606 February 1980 Transcript of 800206 Briefing to NRC in Bethesda,Md Re Sacrificial Shield Wall,Pipe Whip Restraints & Related Structures.Pp 1A-122 ML19261C0571979-02-15015 February 1979 Util Opposes Petitioners Darby,Garrett & Hanford Conversion Project Addl Contention & Legal Argument.Intervention Petition Should Be Disposed of on Basis of Existing Record as Previously Stipulated.Certificate of Svc Encl ML19274D7801979-02-0606 February 1979 Applicant'S Proposed Corrections to Transcript of 790125 Prehearing Conference.Certificate of Svc Encl ML19263C4481979-02-0101 February 1979 Addl Contention & Legal Argument Pursuant to ASLB 790125 Permission.Contends Inadequate Assessment of Safety Risks. Certificate of Svc Encl ML17272A2691979-01-19019 January 1979 Applicant Answer in Opposition to Petitioners Darby Garrett & Hanford Conversion Project Request for Waiver of 10CFR2.708(b).W/encl Certificate of Svc ML19261A6791979-01-10010 January 1979 Second Amended Petition to Intervene,Supplementary Except Where Noted,To 781115 Petition.Addresses Contentions Re Need for Power,Alternatives.Notice of Withdrawal,Affidavit & Certificate of Svc Encl ML19261A6841979-01-10010 January 1979 Requests Waiver of double-spacing Requirement for Filed Documents Because of Added Expense.Assures That Documents Will Be Legible.W/Encl Certificate of Svc ML17272A2231978-12-15015 December 1978 Applicant'S Answer in Opposition to Amended Petition for Leave to Intervene Submitted by SM Garrett,H Vozenilek & Hanford Conversion Project.Asserts That Latter Has No Legal Interest in Proceedings.Certificate of Svc Encl ML20062G4631978-12-14014 December 1978 NRC Staff'S Response to Amended Petition to Intervene Submitted by SM Garrett,H Vozenilek & Manford Conversion Proj.Asserts That Only Manford Conversion Proj Has Met Interest Criteria of 10CFR2.714.Cert of Svc Encl ML20062E0581978-11-15015 November 1978 Amended Petition for Leave to Intervene. Indicates That Intervenors Have Evidence That Has Dev Since 1973 & Other Info Not Considered in the Constr Permit Proc Held in 1973. W/Encl 781107 Appl for Membership in Hanford ML20062E0601978-11-15015 November 1978 Memo in Support of Amended Petition for Leave to Intervene Presents Evidence Dev Since 1973 & Other Info Not Considered in Those Constr Permit Proc.Cert of Svc Plus Insert to Amended Petition for Leave to Intervene. Encl 1999-08-12
[Table view] Category:PLEADINGS
MONTHYEARML20082K0471983-10-14014 October 1983 Show Cause Petition Requesting Revocation of CP & Denial of OL ML20069D3441983-03-10010 March 1983 Brief Supporting Appeal from ASLB 830222 Memorandum & Order. ASLB Erred in Concluding Petitioner Failed to Show Dilatory Conduct by Util & Was Not Entitled to Hearing on CP Extension.Certificate of Svc Encl ML20070J0401982-12-22022 December 1982 Response Supporting Coalition for Safe Power 821209 Motion for 1-wk Delay of Prehearing Conference Scheduled for 830119-20.Applicant Does Not Concede That Basis for Request Constitutes Good Cause.Certificate of Svc Encl ML20070D0001982-12-0909 December 1982 Motion for Delay of 830119 & 20 Prehearing Conference. Schedule Burdensome Due to Two Major Holiday Periods.Four Days of Preparation Lost.Certificate of Svc Encl ML19261C0571979-02-15015 February 1979 Util Opposes Petitioners Darby,Garrett & Hanford Conversion Project Addl Contention & Legal Argument.Intervention Petition Should Be Disposed of on Basis of Existing Record as Previously Stipulated.Certificate of Svc Encl ML19263C4481979-02-0101 February 1979 Addl Contention & Legal Argument Pursuant to ASLB 790125 Permission.Contends Inadequate Assessment of Safety Risks. Certificate of Svc Encl ML17272A2691979-01-19019 January 1979 Applicant Answer in Opposition to Petitioners Darby Garrett & Hanford Conversion Project Request for Waiver of 10CFR2.708(b).W/encl Certificate of Svc ML19261A6841979-01-10010 January 1979 Requests Waiver of double-spacing Requirement for Filed Documents Because of Added Expense.Assures That Documents Will Be Legible.W/Encl Certificate of Svc ML19261A6791979-01-10010 January 1979 Second Amended Petition to Intervene,Supplementary Except Where Noted,To 781115 Petition.Addresses Contentions Re Need for Power,Alternatives.Notice of Withdrawal,Affidavit & Certificate of Svc Encl ML17272A2231978-12-15015 December 1978 Applicant'S Answer in Opposition to Amended Petition for Leave to Intervene Submitted by SM Garrett,H Vozenilek & Hanford Conversion Project.Asserts That Latter Has No Legal Interest in Proceedings.Certificate of Svc Encl ML20062G4631978-12-14014 December 1978 NRC Staff'S Response to Amended Petition to Intervene Submitted by SM Garrett,H Vozenilek & Manford Conversion Proj.Asserts That Only Manford Conversion Proj Has Met Interest Criteria of 10CFR2.714.Cert of Svc Encl ML20062E0601978-11-15015 November 1978 Memo in Support of Amended Petition for Leave to Intervene Presents Evidence Dev Since 1973 & Other Info Not Considered in Those Constr Permit Proc.Cert of Svc Plus Insert to Amended Petition for Leave to Intervene. Encl ML20062E0581978-11-15015 November 1978 Amended Petition for Leave to Intervene. Indicates That Intervenors Have Evidence That Has Dev Since 1973 & Other Info Not Considered in the Constr Permit Proc Held in 1973. W/Encl 781107 Appl for Membership in Hanford ML20062C5871978-10-21021 October 1978 Intervenor'S Request for Extension of Time in Which to File Amended Leave to Intervene Petition Based on Failure of Notification of pre-hearing Conference & Inability to Locate Sited Documents.W/Cert of Svc ML20062A1201978-09-22022 September 1978 Applicant'S Answer in Opposition to Petition for Leave to Intervention Petitions Submitted by Two Petitioners on Behalf of Hanford Convension Project.Intervenors Have No Legal Interest 1983-03-10
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
, N BEFORE THE ATOMIC SAFETY AND LICENSING APPEAL BOARD N 17 g7,.g In the Matter of ) .
WASHINGTON PUBLIC POWER SUPPLY SYSTEM, ) DocketNo.50-397CPAk
_et. _al. )
)
(WPPSS Nuclear Project No. 2) )
BRIEF IN SUPPORT OF APPEAL FROM MEMORANDUM AND .
ORDER OF ATOMIC SAFETY AND LICENSING BOARD, DATED FEBRUARY 22, 1983'
- 1. Petitioner assumed that if the Comission had intended in its Order, CLI-89-29, 16 NRC , October 8, 1982, that the word " dilatory" would be applied only in the sense of " intentional" that the Comission would have used the word " intentional" rather than " dilatory". This gave rise to Petitioner's pbsition that its use of the word " dilatory" encompassed a range of behaviors from
" tending to cause delay" to " intending to cause dalay". Transcript of Pre-hearing Conference in the Matter of WPPSS Nuclear Plants 1,&
2, Docket Nos,. 50-397 CPA, 50-460 CPA and 50-460 OL at 50. Petitioner sought as well to define a middle ground most applicable the construction of WPPSS Nuclear Project No. 2:
MR. ROSOLIE: [T]he intent would not necessarily have to be of itself intentional. That they sat down and basically said, "Well, this is what we're going to do to delay the plant." It could be that their actions, the actions that they took or did not take -- resulted
,in a delay, resulted in a continuing delay.
TR at 50. And again: .
MS. BELL: We do believe that WPPSS, regarding WPPSS 2, has repeatedly failed to improve its management procedures which would remedy their tendency towards proceeding -
in a dilatorj fashion. TR at 51.
MS. BELL: Our reading of what is intentional could be the cin (sic) of comission or the sin of ommission, and in this case what we're saying regarding WPPSS No.
2 is that there was not a sin of commission but a sin of ommission in that WPPSS knew that their management j was causing delay and did nothing about it. '
8303180344 830310 PDR ADOCK 05000397 C PDR '
l
.s
.p.
t TR at 58. The Permittee sumarized Petitioner's position:
- t MR. REYNOLDS
but it seemed to me that she was saying that it was aPerh lower threshold than intentional, that dilatory somehow means " indirectly causing without intent."
TR at 55.
- 2. The' Licensing Board came to the same conclusion:
We understand the Commission to have used the term " dilatory" in a middle sense, as it is commonly used to describe
- litigation tactics, as intending to cause'deby or being indifferent to the delay that might be caused.
the instructions of the Comission as requiring CSP toWe interpret particularize and support an allegatien that Permittee either intended t'o delay, or took actions resultirG in delap because it was indifferent to delay.
Memorandum and Order at 6. ' '
.3.
The, Licensing Board found improperly that Petitiener
): f had not met the second test by failing to particularize and ' support its contention that the Permittee was indifferent to delays caused j by its actions.
Memorandum and Order at 6.
- 4. Petitioner's Supplement to Request for Hearing and Petition i
for Leave to Intervene dated January 10, 1983 establishes j
factual support for its allegation that WPPSS management was indifferent
- m' to the delays caused by its actions and inactions. It cites the .
i Washington State Senate Energy and Utilities Committee ",WPPSS Inquiry",
.\
a' report to the Washing, ton State Senate and the 47th Legislature, ;.
tiarch ;i, 1981':
[
w ,
<N
( "The Committee identified a ' number of areas of.' management failure, each of'which significantly constreuted to the cost.,and schedule problems on the projects...The . . ,
cumulative impact of these deficienc'ies leads the Comittee to conclude WPPSS mismanaaement has been the most.sfgnificant }l:
' cause of cost overruns and schedule delays on the WPP55 1 projects.'(emphasis added) WPP55 InquirlyJ supra. Executive Summary.
jj
- f. '
g
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==
Specifically, lacking to show: the Committee* concluded that evidence was 5 ee5(([4
"that the officially adopted completion dates for the plants are used by WPPSS management to monitor or control the progress of work at the plant site." Supra p. 22 However, the report quotes a Mr. McElwee of WPPSS management:
"We have never claimed and we do not claim that low productivity is the fault of labor. Low productivity is generally our fault, management. Either the material is not available when and where it should be or the engineering is not available when and where it should be, or the equipment or we've gotten interferences or our planning is incomplete or what have you." Supra, p. 45-46. ~
"WPPSS does not have nor has it ever had, an effective change management system. The failure of WPPSS management to institute such a system is a direct and principle cause of project schedule delays." Supra, p. 38. l l
" Changes directed by the Nuclear Regulatory Commission were found to be significant but not necessarily controlling and never more important than the lack of timely engineering and procurement."(emphasis added) 5-1 Report, p. 2-6.
The C0mmittee also concluded that this matter had been brought to the attention of WPPSS management numerous times to no apparent avail. Supra, p. 39.
The Committee concluded that WPPSS management directly affected the procurement of materials:
" Integrated management [ adopted by WPPSS at all sites by 1979] affected all aspects of project adminstration and construction. It slowed procurement and design, interferred with material and engineering support of construction, contributed to unnecessary rework, added to access and interfered with problems on the job site, and confused inspection."
- 5. These findings paint a picture of continuing delays for which WPPSS management was both responsible and aware. The Licensing Board concludes that Petitioner did particularize and support the ,
allegation that the Permittee was responsible for the delays in construc-tion. Memorandum and Order at 4. The manner in which Petitioner did so was to show th' ta it was WPPSS management, not labor, NRC regulations and other externalities that caused the delays. Petitioner went on to show that while management was aware of scheduling delays that actions were never taken to remedy the problems. Since the primary
role of management is to ensura completion of a job in a timely manner failure to effect a change on the construction schedule of WPPSS No. 2 can only be attributed to indifference on the part of management.
- 6. The. Licensing Doard states that Petitioner was required to " particularize and support an allegation that Permittee either intended to delay, or took actions resulting in delay because it '
was indifferent to delay." Petitioner has done the latter. As stated in paragraph 4 above, WPPSS management failed to act to:
- 1) institute an effective change management system;
- 2) utilize official completition dates to monitor and control progress of construction work;
- 3) improve productivity by ensuring that material, engineering and equipment were available; and
- 4) improve construction planning.
Furthermore, WPPSS management adopted " integrated management" at the site in 1978 which slowed construction. Petitioner thus showed that WPPSS management was indifferent to delay.
- 7. For the foregoing reasons the Licensing Board erred in concluding that the Petitioner failed to show dilatory conduct on the part of the Permittee and was thus not entitled to a hearing on the request for an extention to the construction permit for WPPSS Nuclear Project No. 2. '
Respectfully submitted.
Dated this day the tenth ( wER Nina Bell of March, 1983. Coalition for Safe Power
UNITED STATES OF AMERICA NUCLEAR REGULATORY C0fEISSION T~
BEFORE THE ATOMIC SAFETY AND LICENSING BOARD 83 y ;7 p,, 03 In the Matterof )
WASHINGTON PUBLIC POWER SUPPLY SYSTEM Docket No. 50-397f0Pk N IWPPSbkuclearProjectNo.2) f CERTIFICATE OF SERVICE ,. J
' ' I h'ereby certify that copies of " NOTICE OF APPEAL FROM MEMORANDUM AND ORDER OF ATONIC SAFETY AND LICENSING BOARD, DATED BEBRUARY 22, 1983" and "BRIEFGIN SUPPORT OF APPEAL" in the above captioned proeceeding have bec.' served on the fo1&owing by deposit in the U.S. Mail, first class po; . age prepadd on this 10th day of March,1983.
Herbert GRossman, Chairman WNicholas S. Reynolds ASLB Debevoise & Lieberman USNRC 1200 Seventeenth St. N.W.
Viashin6t on, D.C. 20555 Suite 700 Washington, D.C. 20036 Glen O. Bright Administrative Judge ASLAB Panel ASLB USNRC USNRC Washington, D.C. 20555 v.ashington, d.c. 20555 State of Washington D r. Jerry Harbour Energy Facility Site Evaluation administrative. Judge Counc 11 ASLB Mail Stop PY-11 USNRC Olympia, Via , 98504 7!ashington, D.C. 20555 l Docketing and Service Section i USNRC Viashin6 ton, D.C. 20555 William Paton i
Counsel for NRC Staff I U.S.N.R.C.
Gerald C. Sorensen Washington D.C. 20555 f.ianager, Licens ing Program 7!PPSS 300 George Viashington Way Richland, Wa, 99352 ..
144.( h y l Nina Bell l Intervenor for CFSF l
l t *