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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20066A3931990-12-26026 December 1990 Commonwealth of Ma Atty General Response to Licensee First Set of Interrogatories Re Remanded Massachussetts Teacher Issues.W/Certificate of Svc.Related Correspondence ML20065T9551990-12-10010 December 1990 Licensee First Set of Interrogatories & First Request for Production of Documents to Commonwealth of Ma Atty General Re Remanded Massachusetts Teacher Issues.* W/Certificate of Svc.Related Correspondence ML20246H7051989-05-0505 May 1989 Applicant Supplementary Response to Intervenors Discovery Requests.* Certificate of Svc Encl.Related Correspondence ML20245E6531989-04-21021 April 1989 Commonwealth of Ma Atty General Supplemental Answer to Applicant Expert Witness Interrogatories.* Prof Qualifications of Expert Witnesses Encl.W/Certificate of Svc.Related Correspondence ML20248F8531989-04-0303 April 1989 Applicant Voluntary Responses to Commonwealth of Ma Atty General Interrogatories on Use of Bed Buses & Seabrook Plan for Commonwealth of Ma Communities.* Certificate of Svc Encl.Related Correspondence ML20248F6691989-04-0303 April 1989 Applicant Supplemental Answers to Commonwealth of Ma Atty General Expert Witness Interrogatory.* Supporting Documentation & Certificate of Svc Encl.Related Correspondence ML20247A5721989-03-24024 March 1989 Applicant Voluntary Responses to Commonwealth of Ma Atty General Interrogatories & Request for Production of Documents That Pertain to Exercise Areas Requiring Corrective....* W/Certificate of Svc.Related Correspondence ML20247A5921989-03-24024 March 1989 Applicant Voluntary Responses to Commonwealth of Ma Atty General Requests for Documents & Info on Exercise.* W/ Certificate of Svc.Related Correspondence ML20236D5001989-03-16016 March 1989 NRC Staff Further Supplemental Response to Town of Hampton First Set of Interrogatories & Request for Production of Documents to NRC Staff on 880628-29 Exercise (Exercise).* Certificate of Svc Encl.Related Correspondence ML20236C2161989-03-10010 March 1989 NRC Staff Supplemental Response to Town of Hampton First Set of Interrogatories & Request for Production of Documents to NRC Staff on 880628-29 Exercise.* W/Certificate of Svc. Related Correspondence ML20236C3901989-03-0808 March 1989 NRC Staff Supplemental Response to Town of Amesbury First Set of Interrogatories & Request for Production of Documents to NRC on Seabrook Plan for Commonwealth of Ma Communities (Spmc).* W/Certificate of Svc.Related Correspondence ML20236A4311989-03-0707 March 1989 Applicant Supplemental Answers to Intervenors Interrogatories Re Transportation Resources.* Supporting Info & Certificate of Svc Encl.Related Correspondence ML20235V6971989-02-28028 February 1989 Applicant Supplemental Answers to Intervenor Expert Witness Interrogatories.* Certificate of Svc Encl.Related Correspondence ML20235N1821989-02-21021 February 1989 FEMA Responses to Town of Hampton First Set of Interrogatories & Request for Production of Documents to FEMA on 880628-29 Exercise.* W/Certificate of Svc.Related Correspondence ML20206M9271988-11-22022 November 1988 Town of West Newbury Response to NRC Staff Motion to Compel Answers to Interrogatories & Production of Documents by Town of West Newbury.* Certificate of Svc Encl ML20206M9461988-11-22022 November 1988 Responses of FEMA to Town of Amesbury First Set of Interrogatories & Request for Production of Documents to FEMA on Seabrook Plan for Commonwealth of Ma Communities.* W/Certificate of Svc.Related Correspondence ML20206J8331988-11-21021 November 1988 New England Coalition on Nuclear Pollution Second Set of Supplemental Answers to Applicant First Set of Interrogatories Etc & Answers to Applicant Interrogatories & Request For....* Svc List Encl.Related Correspondence ML20206J6811988-11-15015 November 1988 Answers of Commonwealth of Ma Atty General to Applicant Request for Admissions to Commonwealth of Ma Atty General.* Certificate of Svc Encl.Related Correspondence ML20206J6581988-11-15015 November 1988 Joint Intervenors Answers to Applicant Request for Admissions to Intervenors.* Related Correspondence ML20206J6381988-11-15015 November 1988 Commonwealth of Ma Atty General Response to Applicant Second Request for Protection of Documents.* Atty General Will Produce Response Documents from Agencies Listed in Response 2.Related Correspondence ML20206J8691988-11-15015 November 1988 Applicant Response to Commonwealth of Ma Atty General Second Request for Production of Documents to Applicant Re Seabrook Plan for Commonwealth of Ma Communities.* Certificate of Svc Encl.Related Correspondence ML20206C5561988-11-11011 November 1988 Seacoast Anti-Pollution League Response to Applicant Second Request for Production of Documents to All Intervenor & Participating Local Govts Concerning Joint Intervenor Contentions.* Svc List Encl.Related Correspondence ML20206C5641988-11-0707 November 1988 Applicant Response to Town of Amesbury First Request for Production of Documents to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* Certificate of Svc Encl. Related Correspondence ML20206C2611988-11-0404 November 1988 Responses of FEMA to Commonwealth of Ma Atty General First Request for Production of Documents to FEMA Re Seabrook Plan for Commonwealth of Ma Communities.* Certificate of Svc Encl.Related Correspondence ML20205R7461988-11-0404 November 1988 Errata to Applicant Response to Town of Amesbury First Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* W/Certificate of Svc. Related Correspondence ML20205R6901988-11-0404 November 1988 Errata to Applicant Response to Commonwealth of Ma Atty General First Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* W/ Certificate of Svc.Related Correspondence ML20205R5781988-11-0303 November 1988 Applicant Response to Commonwealth of Ma Atty General First Request for Production of Documents to Applicant Re Seabrook Plan for Commonwealth of Ma Communities.* W/Certificate of Svc.Related Correspondence ML20205R6541988-11-0202 November 1988 Town of Ambesbury Response to Applicant Second Request for Production of Documents to All Intervenors & Participating Local Govts Concerning Joint Intervenor Contentions.* W/ Related Info & Certificate of Svc.Related Correspondence ML20205R5621988-11-0101 November 1988 Applicant Response to Commonwealth of Ma (Mass Ag) Second Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* W/Certificate of Svc. Related Correspondence ML20205N3061988-10-31031 October 1988 New England Coalition on Nuclear Pollution Supplemental Answers to Applicant First Set of Interrogatories,Etc & Answers to Applicant Interrogatories & Request for Production Of....* W/Svc List.Related Correspondence ML20205N3351988-10-31031 October 1988 Town of West Newbury Supplemental Answers to Applicant First Set of Interrogatories & First Request for Production of Documents to All Parties & Participating Local Govts Re Contentions.* W/Certificate of Svc.Related Correspondence ML20205N3681988-10-27027 October 1988 Seacoast Anti-Pollution League Response to Applicant Interrogatories & Request for Production of Documents to All Intervenors & Participating Local Govts Concerning Joint Intervenor....* W/Svc List.Related Correspondence ML20205F9561988-10-26026 October 1988 Commonwealth of Ma Atty General Jm Shannon Answers & Responses to NRC Staff Second Set of Interrogatories & Second Request for Documents.* Notice of Depositions & Certificate of Svc Encl.Related Correspondence ML20205K2331988-10-26026 October 1988 NRC Staff Response to Town of Amesbury First Set of Interrogatories & Request for Production of Documents to NRC on Seabrook Plan for Commonwealth of Ma Communities.* W/ Certificate of Svc.Related Correspondence ML20205F8001988-10-25025 October 1988 Seacoast Anti-Pollution League Supplemental Answer to Applicant First Set of Interrogatories,Per Board Orders of 881018 & 19.* Supporting Documentation & Svc List Encl. Related Correspondence ML20205F7541988-10-25025 October 1988 Town of Amesbury First Suppl to NRC Staff First Set of Interrogatories & First Request for Production of Documents to Towns of Amesbury,Newbury,Salisbury,West Newbury & Merrimac & City of Newburyport.* Certificate of Svc Encl ML20205K4191988-10-25025 October 1988 Applicant Response to Commonwealth of Ma Atty General First Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* Supporting Documentation & Certificate of Svc Encl.Related Correspondence ML20205F9931988-10-25025 October 1988 Response of Commonwealth of Ma Atty General to NRC Staff Third Set of Interrrogatories & Request for Production.* Certificate of Svc Encl ML20205G0351988-10-24024 October 1988 Applicant Response to Town of Amesbury First Set of Interrogatories...To Applicant on Seabrook Plan for Commonwealth of Ma Communities.* Supporting Info & Certificate of Svc Encl.Related Correspondence ML20205E3571988-10-24024 October 1988 Commonwealth of Ma Atty General Supplemental Response to NRC Staff First Set of Interrogatories & First Request for Documents.* Certificate of Svc Encl.Related Correspondence ML20205D7771988-10-19019 October 1988 Commonwealth of Ma Atty General Second Request for Production of Documents to Applicant Re Seabrook Plan for Commonwealth of Ma Communities.* Related Correspondence ML20205D6951988-10-19019 October 1988 Commonwealth of Ma Atty General Second Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* Related Correspondence ML20205D8101988-10-19019 October 1988 Commonwealth of Ma Atty General First Request for Production Documents to FEMA Re Seabrook Plan for Commonwealth of Ma Communities.* W/Notice of Deposition of R Donovan on 881109 & Certificate of Svc.Related Correspondence ML20205D7401988-10-14014 October 1988 Applicant Interrogatories & Request for Production of Documents to All Intervenors & Participating Local Govts Concerning Joint Intervenor Contentions 6 & 27-63.* W/Certificate of Svc.Related Correspondence ML20204F9541988-10-14014 October 1988 Applicant Second Request for Production of Documents to All Intervenors & Participating Local Govts Concerning Joint Intervenor Contentions.* Certificate of Svc Encl.Related Correspondence ML20155H4241988-10-11011 October 1988 Applicant Interrogatories & Request for Production of Documents to All Intervenors & Participating Local Govts Concerning Joint Intervenor Contentions 1-26.* Certificate of Svc Encl.Related Correspondence ML20155H3181988-10-0707 October 1988 Commonwealth of Ma Atty General Supplemental Responses to Applicant First Set of Interrogatories.* Certificate of Svc Encl.Related Correspondence ML20155H3111988-10-0707 October 1988 Commonwealth of Ma Atty General First Set of Interrogatories to Applicant on Seabrook Plan for Commonwealth of Ma Communities.* Related Correspondence ML20155H0081988-10-0606 October 1988 Town of Amesbury Interrogatories & Request for Production of Documents to FEMA on Seabrook Plan for Commonwealth of Ma Communities (Spmc).* Certificate of Svc Encl.Related Correspondence ML20204G5731988-10-0606 October 1988 NRC Staff Third Set of Interrogatories & Request for Production of Documents to Towns of Amesbury,Newbury, Salisbury,West Newbury & Merrimac & City of Newburyport....* W/Certificate of Svc.Related Correspondence 1990-12-26
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217H9511999-10-21021 October 1999 Memorandum & Order.* Proceeding Re Nepco 990315 Application Seeking Commission Approval of Indirect License Transfers Consolidated,Petitioners Granted Standing & Two Issues Admitted.With Certificate of Svc.Served on 991021 ML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20211L5141999-09-0202 September 1999 Comment on Draft Reg Guide DG-4006, Demonstrating Compliance with Radiological Criteria for License Termination. Author Requests Info as to When Seabrook Station Will Be Shut Down ML20211J1451999-08-24024 August 1999 Comment Opposing NRC Consideration of Waiving Enforcement Action Against Plants That Operate Outside Terms of Licenses Due to Y2K Problems ML20210S5641999-08-13013 August 1999 Motion of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Strike Unauthorized Response of Nepco.* Unauthorized Response Fails to Comply with Commission Policy.With Certificate of Svc ML20210Q7531999-08-11011 August 1999 Order Approving Application Re Corporate Merger (Canal Electric Co). Canal Shall Provide Director of NRR Copy of Any Application,At Time Filed to Transfer Grants of Security Interests or Liens from Canal to Proposed Parent ML20210P6271999-08-10010 August 1999 Response of New England Power Company.* Nu Allegations Unsupported by Any Facts & No Genuine Issues of Matl Facts in Dispute.Commission Should Approve Application Without Hearing ML20210H8311999-08-0303 August 1999 Reply of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Response of New England Power Co to Requests for Hearing.* Petitioners Request Hearing on Stated Issues.With Certificate of Svc ML20210J8501999-08-0303 August 1999 Order Approving Transfer of License & Conforming Amend.North Atlantic Energy Service Corp Authorized to Act as Agent for Joint Owners of Seabrook Unit 1 ML20211J1551999-07-30030 July 1999 Comment Opposing That NRC Allow Seabrook NPP to Operate Outside of Technical Specifications Due to Possible Y2K Problems ML20210E3011999-07-27027 July 1999 Response of New England Power Co to Requests for Hearing. Intervenors Have Presented No Justification for Oral Hearing in This Proceeding.Commission Should Reject Intervenors Request for Oral Hearing & Approve Application ML20209H9101999-07-20020 July 1999 Motion of Connecticut Light & Power Co & North Atlantic Energy Corp for Leave to Intervene & Petition for Hearing.* with Certificate of Svc & Notice of Appearance ML20195H1911999-06-15015 June 1999 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests.Requests That Commission Consent to Two Indirect Transfers of Control & Direct Transfer ML20206A1611999-04-26026 April 1999 Memorandum & Order.* Informs That Montaup,Little Bay Power Corp & Nepco Settled Differences Re Transfer of Ownership of Seabrook Unit 1.Intervention Petition Withdrawn & Proceeding Terminated.With Certificate of Svc.Served on 990426 ML20205M7621999-04-15015 April 1999 Notice of Withdrawal of Intervention of New England Power Co.* New England Power Co Requests That Intervention in Proceeding Be Withdrawn & Hearing & Related Procedures Be Terminated.With Certificate of Svc CLI-99-06, Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 9904071999-04-0707 April 1999 Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 990407 ML20205G0921999-04-0505 April 1999 Joint Motion of All Active Participants for 10 Day Extension to Permit Continuation of Settlement Discussion.* Participants Request That Procedural Schedule Be Extended by 10 Days.With Certificate of Svc ML20205G3091999-03-31031 March 1999 Petition That Individuals Responsible for Discrimination Against Contract Electrician at Plant as Noted in OI Rept 1-98-005 Be Banned by NRC from Participation in Licensed Activities for at Least 5 Yrs ML20204E6401999-03-24024 March 1999 Protective Order.* Issues Protective Order to Govern Use of All Proprietary Data Contained in License Transfer Application or in Participants Written Submission & Oral Testimony.With Certificate of Svc.Served on 990324 ML20204G7671999-03-23023 March 1999 Comment Supporting Proposed Rule 10CFR50.54(a) Re Direct Final Rule,Changes to QA Programs ML20207K1941999-03-12012 March 1999 North Atlantic Energy Svc Corp Participation in Proceeding.* Naesco Wished to Remain on Svc List for All Filings.Option to Submit post-hearing Amicus Curiae Brief Will Be Retained by Naesco.With Certificate of Svc ML20207H4921999-02-12012 February 1999 Comment on Draft Contingency Plan for Year 2000 Issue in Nuclear Industry.Util Agrees to Approach Proposed by NEI ML20203F9471999-02-0909 February 1999 License Transfer Application Requesting NRC Consent to Indirect Transfer of Control of Interest in Operating License NPF-86 ML20199F7641999-01-21021 January 1999 Answer of Montaup Electric Co to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests Motion Be Denied on Basis of Late Filing.With Certificate of Svc ML20199H0451999-01-21021 January 1999 Answer of Little Bay Power Corp to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests That Ui Petition to Intervene & for Hearing Be Denied for Reasons Stated.With Certificate of Svc ML20199D2461999-01-19019 January 1999 Supplemental Affidavit of Js Robinson.* Affidavit of Js Robinson Providing Info Re Financial Results of Baycorp Holding Ltd & Baycorp Subsidiary,Great Bay Power Corp. with Certificate of Svc ML20199D2311999-01-19019 January 1999 Response of New England Power Co to Answers of Montaup Electric Co & Little Bay Power Corp.* Nep Requests That Nep Be Afforded Opportunity to File Appropriate Rule Challenge with Commission Pursuant to 10CFR2.1329 ML20206R1041999-01-13013 January 1999 Answer of Little Bay Power Corp to Motion of New England Power Co for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* with Certificate of Svc ML20206Q8451999-01-12012 January 1999 Written Comments of Massachusetts Municipal Wholesale Electric Co.* Requests That Commission Consider Potential Financial Risk to Other Joint Owners Associated with License Transfer.With Certificate of Svc.Served on 990114 ML20199A4741999-01-12012 January 1999 Answer of Montaup Electric Co to Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Nepco 990104 Motion Should Be Denied for Reasons Stated.With Certificate of Svc ML20206Q0151999-01-12012 January 1999 North Atlantic Energy Svc Corp Answer to Petition to Intervene of New England Power Co.* If Commission Deems It Appropriate to Explore Issues Further in Subpart M Hearing Context,Naesco Will Participate.With Certificate of Svc ML20199A4331999-01-11011 January 1999 Motion of United Illuminating Co for Leave to Intervene & Petition to Allow Intervention out-of-time.* Company Requests That Petition to Allow Intervention out-of-time Be Granted.With Certificate of Svc ML20198P7181998-12-31031 December 1998 Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Moves to Intervene in Transfer of Montaup Seabrook Ownership Interest & Petitions for Summary Relief or for Hearing ML20198P7551998-12-30030 December 1998 Affidavit of J Robinson.* Affidavit of J Robinson Describing Events to Date in New England Re Premature Retirement of Npps,Current Plans to Construct New Generation in Region & Impact on Seabrook Unit 1 Operation.With Certificate of Svc ML20195K4061998-11-24024 November 1998 Memorandum & Order.* North Atlantic Energy Services Corp Granted Motion to Withdraw Proposed Amends & Dismiss Related Adjudicatory Proceedings as Moot.Board Decision LBP-98-23 Vacated.With Certificate of Svc.Served on 981124 ML20155J1071998-11-0909 November 1998 NRC Staff Answer to North Atlantic Energy Svc Corp Motion for Leave to File Reply.* Staff Does Not Object to North Atlantic Energy Svc Corp Motion.With Certificate of Svc ML20155D0041998-10-30030 October 1998 Motion for Leave to File Reply.* Licensee Requests Leave to Reply to Petitioner 981026 Response to Licensee 981015 Motion to Terminate Proceedings.Reply Necessary to Assure That Commission Is Fully Aware of Licensee Position ML20155D0121998-10-30030 October 1998 Reply to Petitioner Response to Motion to Terminate Proceedings.* Licensee Views Segmentation Issue as Moot & Requests Termination of Subj Proceedings.With Certificate of Svc ML20155B1641998-10-26026 October 1998 Response to Motion by Naesco to Withdraw Applications & to Terminate Proceedings.* If Commission Undertakes to Promptly Proceed on Issue on Generic Basis,Sapl & Necnp Will Have No Objection to Naesco Motion.With Certificate of Svc ML20154K8751998-10-15015 October 1998 Motion to Withdraw Applications & to Terminate Proceedings.* NRC Does Not Intend to Oppose Motion.With Certificate of Svc ML17265A8071998-10-0606 October 1998 Comment on Integrated Review of Assessment Process for Commercial Npps.Util Endorses Comments Being Provided by NEI on Behalf of Nuclear Industry ML20154C8171998-10-0606 October 1998 Notice of Appointment of Adjudicatory Employee.* Notice Given That W Reckley Appointed as Commission Adjudicatory Employee to Advise Commission on Issues Related to Review of LBP-98-23.With Certificate of Svc.Served on 981006 CLI-98-18, Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 9810061998-10-0505 October 1998 Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 981006 ML20153H4471998-10-0101 October 1998 Joint Motion of Schedule Deferral.* Naesco,Sapl & Necnp Jointly Request Temporary Deferral of Briefing Schedule as Established by Commission Order of 980917 (CLI-98-18). with Certificate of Svc ML20154F9891998-09-29029 September 1998 License Transfer Application Requesting Consent for Transfer of Montaup Electric Co Interest in Operating License NPF-86 for Seabrook Station,Unit 1,to Little Bay Power Corp ML20154D7381998-09-21021 September 1998 Affidavit of FW Getman Requesting Exhibit 1 to License Transfer Application Be Withheld from Public Disclosure,Per 10CFR2.790 ML20153C7791998-09-18018 September 1998 Comment Supporting Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Util Endorses NRC Staff Focus on Operability & Funtionality of Equipment & NEI Comments ML20151Z5611998-09-18018 September 1998 Order.* Pursuant to Commission Order CLI-98-18 Re Seabrook Unit 1 Proceeding,Schedule Described in Board 980904 Memorandum & Order Hereby Revoked Pending Further Action. with Certificate of Svc.Served on 980918 ML20151Y0331998-09-17017 September 1998 Order.* All Parties,Including Util,May File Brief No Later than 981007.Brief Shall Not Exceed 30 Pages.Commission May Schedule Oral Argument to Discuss Issues,After Receiving Responses.With Certificate of Svc.Served on 980917 ML20153E8771998-09-16016 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents. Recommends That NRC Reverse Decision to Revise Emergency Planning Regulation as Listed 1999-09-02
[Table view] |
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DOCKETED August 19, 1988 USNRC UNITED STATES NUCLEAR REGULATORY COMMISSION.88 AljG 22 P5 :I4 BEFORE THE ATOMIC SAFETY AND LICENSING BOARb'
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Public Service Company of )
New Hampshire, et al. ) Docket Nos. 50-443 OL
) 50-444 OL (Seabrook Station, Units 1 & 2) ) OFFSITE EMERGENCY
) PLANNING ISSUES
)
NEW ENGLAND COALITION ON NUCLEAR POLLUTION'S ANSWERS TO APPLICANTS' FIRST SET OF INTERROGATORIES AND FIRST REQUEST FOR PRODUCTION OF DOCUMENTS REGARDING NEW ENGLAND COALITION ON NUCLEAR POLLUTION'S CONTENTIONS CONCERNING RG-58 CABLE Introduction The New England Coalition on Nuclear Pollution ("NECNP")
answers below Applicants' first set of interrogatories and request for the production of documents. In response to para-graph 6 under the heading "Definitions and Guidelines," NECNP responds that any substantive technical information in these ans-wers was contributed by Robert D. Pollard, an engineer employed by the Union of Concerned Scientists in Washington, D.C. A copy of his professional qualifications is attached.
Answers to Interroaatories and Reauests for Production
- 1) With respect to NECNP's answers to each of the inter-rogatories 6-15 that follow, is that answer based upon reference to or knowledge of the existence of one or more documents: If so, please:
(a) Identify each such document on which the answer is based.
(b) Identify the information in each document on which the answer is based.
(c) Identify all documents possessed by or known to exist by NECNP which deal with the same subject matter.
- BR' ORB 8?R8888) iga G
. = w..q (d) Produce all identified documents.
ANSWER: All answers to the following interrogatories are based on documents that have been filed before this Licensing Board, or which consist of regulations or regulatory guidance that are pub-licly available. Where NECNP relies on a particular document for an answer to an interrogatory, that document is identified in the answer to the interrogatory. ,
- 2) With respect to NECNP's answers to each of the inter-rogatories 6-15 that follow, is that answer based upon any type of study, calculation, procedure, method,_ instruction, assumption, conclusion, recommendation or analysis? If so, please:
(a) Describe the nature of the study, calculation prodcedure, method, instruction, assumption, conclusion, recommendation or analysis.
(b) Identify and produce any documents that con-stitute, discuss or describe it.
(c) Identify the person (s) who performed it, including the institutional affiliation and professional qualifica-tions, if any, of the person (s).
(d) State when and where it was prepared or performed.
(e) Describe in detail the information or data that was examined.
(f) Describe the results.
(g) Explain how it provides a basis for the answer.
ANSWER: Where applicable, this information will be provided in the answer to the interrogatory.
- 3) With respect to NECNP's answers to each of the inter-rogatories 6-15 that follow, is that answer based upon con-versations, consultations, correspondence or any other type of communication with one or more individuals or entities?
If so, please:
(a) Identify each such individual or entity.
(b) State the educational and professional background of each such individual, including occupation and institu-tional affiliates.
(c) Describe the nature of each communication with each such individual or entity, when it occurred, and identify all other individuals or entities involved.
(d) Describe in detail the information received from each such individual or entity, and explain how it provides a basis for the answer.
__ _ ._ a .. _ . . _ . . . ._ _ . _ ._ . -...._ m ..:_.._...._
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I (e) Identify and produce each letter, memorandum, con- l tract, tape, note, or other document related to each con-versation, correspondence, or other communication with such individual or entity.
ANSWER: All answers to these interrogatories are based on con-versations between counsel for NECNP and Robert D. Pollard which have taken place since the Appeal Board's remand of this proceed-ing in ALAB-875. They are also based on NECNP's filings in this proceeding and on Applicants' answers to NECNP's first, second, and third sot of interrogatories and document requests. A copy of Mr. Pollard's professional qualifications is attached to these interrogatory answers. NECNP is unable to recall the date, loca-tion, or content of each of the many conversations that support these answers.
- 4) Does NECNP intend to offer the testimony of any expert witness with respect to the issue remanded in ALAB-8917 ANSWER: NECNP does not intend to offer affirmative testimony on this issue at this time. If circumstances should change, NECNP will amend its answer.
- 5) Does NECNP intend to offer the testimony of any non-expert witness with respect to the issue remanded in ALAB-891?
ANSWER: NECNP does not intend to offer affirmative testimony on this issue at this time. If circumstances should change, NECNP will amend its answer.
- 6) Do you assert that RG-58 cable is not environmentally qualified? If so, please state in detail all the facts underlying this assertion and explain exactly how those facts support the assertion.
ANSWER: Yes. The conclution in E.Q. File 113-19-01 (NECNP Ex.
- 4) that RG-58 cable is qualified based on comparison with tested
RG-59 cable lacks analytical support, and did not stand up under !
the scrutiny of the Appeal Board.
Moreover, the environmental qualification test report for the recent test of RG-58 cable, which is not now on the record in this proceeding, does not appear to demonstrate that RG-58 cable is qualified. It appears that the insulation resistance readings dropped below the purported 1 megohm performance specification many times during the test (Indeed, many zero readings were
~
recorded.), and the tested cable actually failed (shorted to ground) repeatedly during testing under accident conditions, as evidenced by the repeated blowing of the in-line 1-amp fuse measuring charging / leakage current when the test setup was at ambient temperatures. The response in this paragraph is based on "Test Report for Environmental Qualification Testing of Coaxial Instrument Cables (RG-58)", 24843-89N-1 and -2, which was received by counsel for NECNP from Applicants on August 9, 1988.
- 7) What are the performance specifications for environmen-tally qualified cable?
ANSWER: The performance specifications for environmentally qualified cable depend on the application--the function the cable serves and the normal and accident environments in which it must function. Performance specifications relating to electrical characteristics must be met under the range of voltage, fre-quency, load, electromagnetic interference, and other electrical characteristics as described in IEEE Std 323-1974, Section 6.2.
.. . .+ ... - . -
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NECNP is unable to say what the particular performance specifica-tions for either RG-58 or RG-59 cable are because they are not adequately specified in the equipment qualification file for these cables (NECNP Ex. 4).
- 8) What is the electrical characteristic that demonstrates that a cable is environmentally qualifed?
ANSWER: A cable is demontrated to meet the electrical character-istics necessary for environmental qualification if it meets the performance specifications for that cable. See response to ques-tion 7.
- 9) Do you assert that Applicants have not identified all RG-58 cable exposed to a harsh environment that need to be either qualified or replaced with qualified cable? If so, please state (a) which cable (s) did Applicants fail to identify; (b) the function (s) performed by each cable; (c) the safety-related nature of the function (s) per-formed by each cable; and (d) all the facts underlying this assertion and explain exactly how those facts support the assertion.
ANSWER: Yes. In response to subparagraph (a), we have insuffi-cient information with which to identify which cable (s)
Applicants failed to identify. In response to subparagraph (b),
the functions performed by each of the 126 identified cable are described in Attachment 4 to Appticants' answers to NECNP's First Set of Interrogatories. We have insufficient information to describe the functions performed by any other RG-58 cable which may be in the plant. In response to subparagraph (c), the func-tions performed by the 126 identified RG-58 cable do not appear to be safety related. We have insufficient information to determine whether the functions performed by any other RG-58
.. ...w.w.w ,. . w. .. . . . ... . , . . . . . - . . ..
cable which may be in the plant are safety-related. In response to subparagraph (d), Applicants have not demonstrated that their method of verifying the location of RG-58 cable is independent; nor have they physically traced the route of RG-58 cable to determine whether it is in fact exposed to a harsh environment.
In categorizing the location of the cables, they have also made a number of tabulation errors which raise questions about the ade-quacy of their review. Finally, it is not uncommon for installa-tion of nuclear power plant equipment to fail to conform to schematic drawings.
- 10) Do you assert that Applicants did not replace all RG-58 cable exposed to a harsh environment that need to be either qualified or replaced with a qualified cable? If so, please state (a) which cable (s) did Applicants fail to replace; (b) the function (s) performed by each cable; (c) the safety-related nature of the function (s) per-formed by each cable; and (d) all the facts underlying this assertion and explain exactly how those facts support the assertion.
ANSWER: NECNP is unable to say based on information provided to date whether Applicants have identified all RG-58 cable exposed to a harsh environment that needs to be either qualified or replaced with qualified cable. See answer to Interrogatory 9.
We do not contend that Applicants failed to replace any cable that they assert to have replaced.
- 11) Do you assert that there are other RG-58 cables, in addition to the 12 RG-58 cables replaced, that must be environmentally qualified? If so, please state (a) which other cable (s) need to be replaced; (b) the function (s) performed by each cable; (c) the safety-related nature of the function (s) per-formed by each cable; and (d) all the facts underlying this assertion and explain exactly how those facts support the assertion.
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ANSWER: NECNP is unable to determine, based on the information in the record and provided by Applicants, whether the 12 replaced RG-58 cables are the only ones that must be environmentally qualified. See answer to interrogatory 9.
- 12) Do you assert Applicants must replacs any RG-58 cables other than the 12 RG-58 cables replaced with RG-59 cable?
If so, please state (a) which cable (s) need to be replaced; (b) the function (s) performed by each cable; (c) the safety-related nature of the function (s) per-formed by each cable; and (d) all the facts underlying this assertion and explain exactly how those facts support the assertion.
ANSWER: NECNP is unable to determine, based on the information in the record and provided by Applicants, whether the 12 replaced RG-58 cables are the only ones that must be environmentally qualified or replaced. Because this questions is phrased ambiguously, we wish to clarify that we do not consider that RG-59 is an adequate substitute for RG-58 or any other cable, because it has not been demonstrated to be environmentally qualified.
- 13) Do you assert that RG-59 cable is not technically qualified to perform the functions required by the 12 RG-58 cables that were replaced? If so, please state for each cable (a) the function (s) that cannot be performed; (b) the conditions under which the function (s) cannot be performed; (c) the safety-related nature of the function (s);
(d) the nature of the technical inadequacy; (e) the effcet of this technical inadequacy on func-tional performance; (f) all the facts underlying this assertion and explain exactly how those facts support the assertion.
ANSWER: NECNP asserts that RG-59 cable is not technically qualified to perform the 12 RG-58 cable functions in an accident
environment because Applicants have not specified performance criteria for each such application. Our reasons for this posi-tion are described in NECNP's Motion for Clarification or Reconsideration of the Board's Order of June 23, 1988, dated July 13, 1988, and NECNP's Reply to NRC Staff Response to Board Request of July 20, 1988, and Affidavit of Newell K. Woodward, dated July 27, 1988. With respect to technical qualifications for performance under normal operating conditions, NECNP has not had an opportunity to review the Engineering Evaltiation Report provided by Applicants in response to NECNP's interrogatories, which addresses this issue. We will supplement our answer when that review is completed.
- 14) Do you continue to assert the facts and opinions expressed in the affidavits you have filed before the Licensing Board and Appeal Board following the issuance of ALAB-891? If any of these facts or opinions have changed, please identify them and describe the reasons for the changes.
ANSWER: Based on Attachment 4 to Applicants' response to NECNP's First Set of Interrogatories, NECNP now believes that the 126 identified applications of RG-58 cable are not safety-related.
This resolves NECNP's concern that Applicants have failed to show that these applications are not safety related or Class 1E, as raised in paragraphs 4(c), 15, 16, and 17 of Robert D. Pollard's l
affidavit, filed in support of NECNP's Response to Applicants' Suggestion of Mootness Regarding Environmental Qualification of RG-58 cable, dated June 9, 1988. In addition, based on Applicants' answers to NECNP's interrogatories, it no longer appears, as stated in paragraph 7, that two or more individuals I
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queried the same computer based listing of cables when they attempted to verify the location of the RG-58 cables; rather, they reviewed CASP and electrical schematic drawings. It should be noted, however, that NECNP continues to believe, for the other reasons stated in the affidavit, that a review of CASP and the schematic drawings lacked independence. Finally, with respect to paragraph 11, it now appears that there are no other purchase orders of RG-58 cable.
- 15) Identify all individuals on whose knowledge or opinions you relied in each of the filings before the Licensing Board and Appeal Board since the issuance of ALAB-891. For each of these individuals, describe that portion of the filing for which you relied on that individual.
ANSWER: NECNP relied on the technical knowledge and opinions of Mr. Robert D. Pollard for all of the filings before the Licensing Board and Appeal Board since the issuance of ALAB-891.
Respectfully submitted, WA d Diane Curran D L-HARMON & WEISS 2001 "S" Street N.W. Suite 430 Washington, D.C. 20009 (202) 328-3500 August 19, 1988 CERTIFICATE OF SERVICE I certify that on August 19, 1988, copies of the foregoing pleading were served by hand, overnight mail, or first-class mail
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on all parties to this proceeding, as designated on the attached service list.
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Diane Curran i l
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UNION OF CONCERNED SCIENTISTS 1616 e si,,,i, nw s.31o . w..hi.,1. oc 2oo36 . i2o2, 332.oooo ROBERT D. POLLARD Robert D. Pollard, 48, is Senior Nuclear Safety Engineer for the Unicn of Concerned Scientists, a non-profit gInn of scientists and other professionals supported by over 100,000 spcnscrs natienwide.
Robert Pollard's formal educaticn in nuclear design began in May 1959, when he was selected to serve as an electronics technician in the U.S. Navy nuclear pcuer program. After ccrrpleting the required training, he became an instructor respcnsible for teaching naval perr.cnnel both the theoretical and practical aspects of operations, maintenance and repair of nuclear prepulsion plants. Fran February 1964 to April 1965, he served as senior reactor operator, supervising the reactor ccntrol division of the U.S.S. Sargo, a nuclear-pcwered subnarine.
After his honorable discharge in 1965,~ Robert Pollard attended Syracuse University, where he graduated with a Bachelor of Science degree t_racna c'ca laude in electrical engineering in June 1969-In July 1969, Pcbert Pollard was hired by the Atonic Energy Ccmnissicn (AEC), and centinued as a technical expert with the AEC and its successor the Nuclear Regulatory Ccmnissica (NRC) until February 1976. After joining the AEC, he studied advanced electrical and nuclear engineering at the Graduate Schcci of the University of New Mexico in Albuquerque. He subsequently advarced to the positicns of reacter engineer and project manager with the AEC/NRC.
As a reactor engineer, Robert Pollard was primarily responsible for perfonning detailed technical reviews analyzing and evaluating tre adequacy of the design of
._ reactor protecticn systems, centrol systas and emergency electrical pcuer systems in preposed nuclear facilities. In September 1974, he was praroted to project manager, respcnsible for plarning and coordinating tra design and safety reviews of applications for licenses to construct and cperate seven ccnmercial nuclear power plants. While with NRC, Mr. Pollard also served as the agency's representative in standard-setting groups, participating in the develegnent of standards and safety guides, and as a m mber of I m ccmnittees.
He resigned fran the NRC and began working for UCS in February 1976. In his werk for UCS, Mr. Pollard has centinued to use his expertd.se in nuclear safety analysis. He has testified as an expert witness in NRC and judicial proceedings in tra U.S. ard overseas. Pr. Pollard ccnceived ard provided the technical cnalysis for a petiticn filed by UCS with the NRC that resulted in tra 1980 adcptien of industry-wide safety standards for nuclear plant carpenents. He has traveled extensively thrcughout the country speaking to citizens and goverrment officials en issues related to nuclear pcwer.
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i Cambthige Offleci 26 Church Street Cambrkler. %..achu.ett. 02238 16171 "d7.">5*>2
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AFFIRMATION OF ROBERT D. POLLARD I, Robert D. Pollard, affirm that, to the best of my knowl-edge and belief, +he factual information contained in the answers to the foregoing interrogatories is true and correct.
Robert D. Pollard Dated:
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SEABROOK SERVICE LIST Onsite Licensing Board
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Carol S. Sneider Esquire Sandra Govutis thNhC
'Sheldon J. Wolfe, Chairman Assistant Attorney General RfD 1. Box 1154 Atomic Safety and Licensing Board 1 Ashburton Place,19th 1%or East Kensington, Nil 03s27 US Nuclear Regulatory Comminaion Boston,MA 02108 julith IL Mizner, Esq.
- 2 ALE 22 P5:14 Washington, D.C 20555 George bana Bisbee, Esq. Sibergiate, Gertner,et aL
'Dr. Emmeth A. Luebke Geoffrey M. Iluntington, Es4 88 Broad Street CFC M ( r .
- : i t. > r Atomic Safety and Licensing Board Omce of the Attorney Gene .o Boston,MA 02110 hyCg[]x;4 gaypi 5500 Friendship Boulevard State House Annex BM Nt .4 Apartment 194N Concord,STI 03301 'nornas G. Dignan. Esq.
ChevyChase,MD 20815 .
R.K. Gad !!, Esq.
R!^ bard A. Itampe, Esq. Ropea Kray
'Dr. Jerry liarbour llampe and McNicholas 225 Franklin Street Atomic Safety and Ucensing Board 35 Pleasant Street Boston, MA 02110 US Nuclear Regulatory Comtnission Concord,51103301 Washington, D.C 20$55 Robert A. Backus, Eq.
Gary W. llotmes, Esq. Backus, Meyer & Solomon Atornic Safety and Licensing Ilotmea & E!!is 111 towell Street Board Pract 47 Winnacunnent Road Manchester, Nil 03105 US Nuclear Regulatory Commission llampton, Nil 03*42 Washington, D.C 20555 R. Scott flill Whitton William Armstrong tagoulis, Clark, !!ill-Whilton Docketing and Service Branch Civil Defense Director and McGuire US Nuclear Regulatory Commission 10 Front Street 79 State Street Washi gton, D.C 20555 Exeter. Nil 03833 Newburyport,MA 01MO Mrs. Arne E. Goodman Calvin A.Canney Diana Sidebotham Dc:rd of Selectmen City Manager RFD # 2 Box 126) 13-15 New Market Road City Itall Putney,\T 0$M6 Durham, Nil 03842 126 Daniel Stre,t Portsmouth, Nll 03801 Staley W, Knowles ' Overnight delistry Bettd of Selectmen Charles P. Graham, Esq.
P.O. Box 710 McKay, Murphy and Graham North II:mpton, Nil 03826 100 Main Street Amesbury,MA 01913 J.P. Nade:u Toms of Rye Alfred V. Sargent, Chairmvi 155 Washi:gton Road Board of Selectmen Ryt,NewItampshire 03870 Town of Salisbury,MA 01950 Senator Gordon J. Ilumphrey Rep. Roberta C Pestar US Senate i Drinkwater Road Washington, D C 20510 llampton Falls, NII OM44 (Atta. Tom Burack)
Phillip Ahrens, Esq.
Senator Gordon J. Iluenphrey Assistant Attorney General
! Eagle Square. See 507 State flouse, Station #6 Concord, Nil 03301 Augusta,ME G4333 Michael Santosuosso, Chairman Gregory A. Derry, Eq.
Doord of Selectmen Office of General Counwl Jewell Street, RFD # 2 US Nuclear Regulatory Commission South flampton, N1103&42 Washington, D.C 20555 Wdliam S. '.ord, Selectman Allen lampert Toen 11:11 - Friead Street Civil Defense Director Amesbury,MA 01913 Tomm of Brentowood Exeter, Nil 03833 Jane Doughty SAPL Matthew T. Brock, Esq.
$ Marbt Street Shaines & McEachern Portsmouth, N1103a01 P.O. Box 360 Maplewood Avenue Portsmouth, Nil 03801
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