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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20211P1421986-12-16016 December 1986 Order Terminating CPPR-170 & CPPR-171 for Marble Hill Nuclear Generating Station ML20215E6651986-12-16016 December 1986 Notice of Withdrawal of Application for OLs for Marble Hill Nuclear Generating Station,Per Util 850404 Motion to Terminate Proceedings.Aslb Issued Memorandum & Order LBP-86-37 on 861103,terminating OL Proceeding ML20215N6211986-11-0303 November 1986 Memorandum & Order LBP-86-37,terminating OL Proceeding,In Response to Applicant 850404 Motion.Served on 861104 ML20214K7331986-08-19019 August 1986 Response to Applicant 860702 Suppl to Motion to Terminate Proceedings & NRC 860721 Response to Board 860530 Memorandum & Order.Applicant Cannot Invoke Jurisdiction of NRC & ASLB W/O Accepting Conditions.Certificate of Svc Encl ML20214K7711986-08-12012 August 1986 Responds to NRC Staff Position on 860530 Memorandum & Order Re Facility Site Restoration.Opposes Any Decision Not Providing for clean-up of Site ML20205C3001986-08-11011 August 1986 Request for Extension of Time Until 860815 to File Response to Util 860702 Suppl to Motion to Terminate Proceeding & NRC 860721 Response to 860530 Memorandum & Order.Certificate of Svc Encl ML20203E3681986-07-21021 July 1986 Response to Board 860530 Memorandum & Order Re Util 850404 Motion to Terminate Proceeding & Util 860702 Suppl to Motion.In Absence of Issuance of Notice of Hearing,Util Motion Should Be Granted ML20203E4101986-07-21021 July 1986 Supplemental Affidavit of RB Samworth Re Termination of Const in Manner Favoring Reduction or Avoidance of Significant Environ Impacts,Per Util Motion for Withdrawal of Application.Certificate of Svc Encl ML20199L0521986-07-0202 July 1986 Suppl to Motion Supporting Terminating Proceeding.Argues That Board Has No Jurisdiction Over Surrender of Cps. Surrender of Permits to Director of NRR Should Render OL Proceeding Moot ML20206D5771986-06-18018 June 1986 Memorandum & Order Amending ASLB 860530 Order to Allow State of in Sassafras Audubon Soc to File Answer to Applicant Suppl to Motion to Terminate within 10 Days After Svc of Suppl.Encl Served.Served on 860619 ML20198K7291986-05-30030 May 1986 Memorandum & Order Directing That Applicants Suppl 850404 Motion to Terminate OL Proceeding within 30 Days of Svc of Order.Nrc May Respond to Applicants Suppl within 15 Days Following Svc of Suppl.Served on 860602 ML20140G0741986-03-28028 March 1986 Supplemental Answer Supporting Applicant 850404 Motion to Terminate Proceeding.Rb Samworth Affidavit Encl ML20140G1051986-03-27027 March 1986 Affidavit of RB Samworth Determining No Significant Detrimental Impact on or Offsite Resulting from Termination of Proceeding.W/Certificate of Svc ML20100G2871985-04-0404 April 1985 Motion to Terminate OL Proceeding.Cps Surrendered to NRC by .Certificate of Svc Encl ML20082R6581983-12-0808 December 1983 Pp 11 of Response to Sassafras Audubon Soc & Valley Watch, Inc Contentions ML20082K2541983-11-30030 November 1983 Response to Save the Valley,Inc 831021 Provisional Contentions.Contention 2 Should Be Deferred & Contentions 1 & 3-15 Should Not Be Admitted.Certificate of Svc Encl ML20078R6531983-11-10010 November 1983 Motion for Extension Until 831130 to Respond to Indiana Sassafras Audubon Soc & Valley Watch,Inc Amended Petitions to Intervene & Save the Valley Contentions.Certificate of Svc Encl ML20081M5501983-11-10010 November 1983 Motion for Extension to 831130 to Respond to Amended Petitions to Intervene & to Complete Technical Analysis of Numerous Contentions.Motion Granted by ASLB on 831114 ML20081A5011983-10-21021 October 1983 Petition of Save the Valley for Leave to Intervene,Listing 15 Contentions Re Integrity of Concrete in safety-related Structures,Electrical Work,Evacuation Plans & Common Mode Failures.Certificate of Svc Encl ML20024E0511983-08-0808 August 1983 Answer Opposing Indiana Sassafras Audubon Soc 830722 Amended Petition to Intervene.Soc Failed to Particularize Group Interests or Member Interest & Failed to Satisfy Injury in Fact Requirement.Certificate of Svc Encl ML20077G0821983-07-26026 July 1983 Amend to Vally Watch,Inc Petition to Intervene & Request for Hearing Re Ol.Affidavits of Members to Establish Standing Encl ML20077C8481983-07-21021 July 1983 Amend to Petition to Intervene in OL Hearing.Petitioner Makes Requisite Showing That Members Have Standing & Have Authorized Petitioner to Represent Interests.Contentions to Be Litigated Identified.Certificate of Svc Encl ML20090F6761983-07-0101 July 1983 Notices of Appearance in Proceeding.Certificate of Svc Encl ML20074A4561983-05-12012 May 1983 Answer to Indiana Sassafras Audubon Society (Isas) Petition for Leave to Intervene.Isas Fails to Establish Right to Intervene.Certificate of Svc Encl ML20074A4811983-05-12012 May 1983 Response W/O Objection to Save the Valley Petition for Leave to Intervene,Provided Applicant May Object to Contentions & Right to Hearing After Petition Suppl Filed. Certificate of Svc Encl ML20074A6481983-05-12012 May 1983 Response Opposing Valley Watch,Inc 820427 Petition for Leave to Intervene in Proceeding.Petitioner Fails to Estabish Sufficient Interest in Proceeding to Establish Standing as Matter of Right or Discretion.W/Certificate of Svc ML20073P9811983-04-25025 April 1983 Petition of Save the Valley to Intervene in OL Proceeding, Listing Contentions ML20073P9871983-04-19019 April 1983 Petition of Valley Watch,Inc to Intervene in OL Proceeding, Listing Contentions ML20073P9911983-04-16016 April 1983 Petition of Sassafras Audubon Soc of South Central in to Intervene in OL Proceeding,Listing Contentions ML20039B7421981-12-11011 December 1981 Commentary on Rc Deyoung 811208 Supplemental Decision Under 10CFR2.206.Hearing Necessary Since IE Action Allowing Resumption of Concrete Placement Violated Commission Criteria for Plant Reopening.Certificate of Svc Encl ML20062M6301981-12-11011 December 1981 Commentary on Rc Deyoung 811130 Supplemental Decision. Decision Lacks Candor Re Prior Commentary of Ofc of Policy Evaluation.Nrc Established Procedure Extremely Biased. Certificate of Svc Encl ML20140B2651981-08-31031 August 1981 Aug 1981 Official Newsletter of Save the Valley ML20009B2801981-07-10010 July 1981 Addendum to 810414 Petition for Commission Review of NRC 810327 Order to Resume Const at Facility.Independent Engineers Must Defend Determination of 95% Reliability. Certificate of Svc Encl.Related Correspondence ML19343D3821981-04-14014 April 1981 Petition & Supporting Memorandum for Review of NRC 810327 Order to Resume Const.No Written Findings or Conclusions Addressing Adequacy of License Investigation & Repairs of Concrete Placement Have Been Provided ML19323E4901980-05-14014 May 1980 Addl Comments on Intervenor 800507 Pleading Re Resumption of Work.Urges Commission to Consider Encl Affidavits Re Whether IE Should Have Confidence in QC Program & Whether New Madrid Seismic Zone Extension Should Be Made ML19305E5701980-05-0707 May 1980 Comments Re Reopening of Facility,Addressing Licensee 800305 Request for Insp of Safety Matls & Licensee Independent Exam of Concrete.Urges Positive Action Re QC Violations & Improperly Placed Concrete ML19316B1531980-04-29029 April 1980 Response to Save the Valley-Save Marble Hill 800423 Motion to Strike & Objections to Util Bill of Costs Re Civil Action 78-1369 on Appeal.Urges Assigning Costs to State of Ky & Intervenor.W/Certificate of Svc.Related Correspondence ML19211A9511979-12-10010 December 1979 Appeals for Review of Director'S Decision Under 10CFR2.206. Director Abused Discretionary Power in Denying Requests to Reopen Safety Hearings at Meaningful Point in Licensing Process ML19254F8161979-10-20020 October 1979 Motion in Opposition to NRC Motion for Denial of Audubon Society Request for Hearing on NRC 790815 Order Confirming Suspension of safety-related Const.Economic Injury Is Sufficient Status for Hearing ML19323E5131979-09-30030 September 1979 Affidavit Re Us Testing,Facility sub-contractors ML19208D5071979-09-24024 September 1979 Petition Calling for Revocation of Facility CP ML20136B4331979-09-0101 September 1979 Request to Suspend & Revoke CP & to Reopen Safety Hearings. Newspaper Articles Encl ML19207B4561979-08-29029 August 1979 Petition Objecting to Problems at Plant.Problems Include Poor Const & Qa,Nuclear Waste Storage & Lack of Demonstrated Need for Plant.Requests That CP Be Revoked,Safety Hearings Be Reopened & Congressional Hearings Be Initiated ML19259C8621979-08-12012 August 1979 Requests Revocation of Cp,Reopening of NRC Safety Hearings & Start of Planned Congressional Hearings ML19323E5171979-07-22022 July 1979 Affidavit Re Quality of Concrete Pours ML19323E5021979-07-0808 July 1979 Affidavit Re Glaring Concrete Workmanship Defects in & Around Containment & Alleged Improper Attitudes of Newberg- Marble Hill Const Co ML19323E4981979-07-0808 July 1979 Affidavit Re Glaring Concrete Workmanship Defects in & Around Containment & Alleged Improper Attitudes of Newberg-Marble Hill Const Co ML19323E4931979-07-0707 July 1979 Affidavit Re Glaring Concrete Workmanship Defects in & Around Containment & Alleged Improper Attitudes of Newberg- Marble Hill Const Co ML19323E5061979-05-0808 May 1979 Deposition Re Water Leaking,Patches & Honeycombs.Pp 2-22 ML19345B2591979-05-0808 May 1979 Statement of 790508 Appearance in Madison,In Re Const Deficiences.Pp 1-23 1986-08-19
[Table view] Category:ORDERS
MONTHYEARML20211P1421986-12-16016 December 1986 Order Terminating CPPR-170 & CPPR-171 for Marble Hill Nuclear Generating Station ML20215N6211986-11-0303 November 1986 Memorandum & Order LBP-86-37,terminating OL Proceeding,In Response to Applicant 850404 Motion.Served on 861104 ML20206D5771986-06-18018 June 1986 Memorandum & Order Amending ASLB 860530 Order to Allow State of in Sassafras Audubon Soc to File Answer to Applicant Suppl to Motion to Terminate within 10 Days After Svc of Suppl.Encl Served.Served on 860619 ML20198K7291986-05-30030 May 1986 Memorandum & Order Directing That Applicants Suppl 850404 Motion to Terminate OL Proceeding within 30 Days of Svc of Order.Nrc May Respond to Applicants Suppl within 15 Days Following Svc of Suppl.Served on 860602 ML20147H1531978-12-19019 December 1978 Motion by Applicants Psin for Reconsideration of Decision ALAB-509 Is Denied.Aslab Asserts That to Hear All 16 Cases Separately Would Result in an Unworkable Situation 1986-06-18
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/1 LB 5/30/86 '
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARD Before Administrative Judges:
Ivan W. Smith, Chairman --
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Gustave A. Linenberger, Jr. - - 2 I)
Dr. Oscar H. Paris ~, ,
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In the Matter of )
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PUBLIC SERVICE COMPANY OF INDIANA, INC.) Docket hos. 50-546-OL WABASH VALLEY POWER ASSOCIATION, INC. ) 50-547-0L
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(Marble Hill Nuclear Generating ) ASLBP No. 83-487-02 OL Station, Units 1 and 2) )
May 30, 1986 MEMORANDUM AND ORDER DIRECTING BRIEFS SERVED JUN 11M
Background
We have before us the April 4, 1985 motion by the Public Service Company of Indiana, Inc. and Wabash Power Association, Inc. to
" terminate this operating license proceeding" for the Marble Hill Nuclear Generating Station. The same motion purports to inform the Licensing Board that Construction Permits Nos. CPPR-170 and 171 for
! Marble Hill Units 1 and 2 had been " surrendered" by letter of March 1, i
1985 to the Director of Nuclear Reactor Regulation. A copy of a Marble Hill site stabilization plan was appended to the motion.
The NRC Staff responded to the motion on Aprf1 24, 1985 by requesting that the Board defer ruling on the motion until the Staff has an opportunity to review and to approve a site restoration plan.
Although, as noted, Applicants' motion, by its terms, seeks only to 8606040119 860530 goa aoocko 9 =6 g> g
r s
terminate the operating license proceeding, the Staff assumed that Applicants intend to invoke the jurisdiction of this Board to withdraw the application for the Marble Hill construction permits. None of the intervenors commented on the motion.
On March 28, 1986 the Staff filed a very succinct supplemental answer supporting the motion to terminate.
The pleadings before us are inadequate in two important areas. The Board directs the parties to supplement their pleadings with additional information outlined below.
Jurisdiction The strong inference to be drawn from the motion to terminate the operating license proceeding is that the Applicants regard that proceeding to be moot, having surrendered the construction permits to the Director of Nuclear Reactor Regulation (NRR). The Staff however, citing Duke Power Company (Perkins Nuclear Station, Units 1, 2, and 3),
ALAB-668, 15 NRC 450 (1982), assumes that the motion is directed to the construction permits and that the Licensing Board has jurisdiction over the matter. Staff Response, n.1. The Board does not share the Staff's assumption. The Applicant in Perkins filed joint motions before the Licensing and Appeal Boards specifically for leave to withdraw its application for construction permits. The Appeal Board deferred to the Licensing Board to pass upon the motion in the first instance. Id.
at 451.
We believe that the Marble Hill Applicants intend only to invoke the jurisdiction of the Licensing Board for the sole and ministerial purpose of terminating the operating license proceeding. The pleading is styled simply a " motion to terminate proceeding." There is no reference whatever to 10 CFR 9 2.107, the traditional authority under which the holder of a construction permit would " request a withdrawal of an application." However, in view of the Staff's position and in view of the fact that the Applicants submitted their site stabilization plan to us as well as to the Director of NRR, we believe that a clarification is in order.
Therefore we direct the Applicants to supplement their motion explaining exactly what they seek from the respective components of the Nuclear Regulatory Comission and to support their supplement by citations to the controlling law. We direct the NRC Staff to report on the status of the construction permits " surrendered" to the Director of NRR and to state its position on the Board's jurisdiction after the Staff has examined the Applicants' supplement.I 1
Specifically the question is not whether this Board, constituted as an operating license board, has jurisdiction over a construction permit matter. See Perkins, supra. The question is whether the Applicants, having tendered the construction permits to the Director of NRR, have invoked the Director's jurisdiction to the exclusion of the Licensing Board's jurisdiction.
The Board's Responsibility Pending further advice from the parties, the Board assumes that the Director of NRR has exclusive jurisdiction over the construction pennits. If, however, it turns out that a request for the withdrawal of the construction permits comes before this Board pursuant to 10 CFR
$ 2.107, we inform the parties that the record now before us would be inadequate.
The Marble Hill site, consisting of about 960 acres, sits on a bluff overlooking the Ohio River. According to the partial initial decision authorizing limited work activities at the site, the construction associated with Marble Hill was to have preempted about 500 acres of farmland, most of which was prime land.2 Today, according to the Staff's Environmental Review, the site "could be characterized as being typical of any abandoned large industrial facility." Attachment to Staff's Supplemental Answer.
When the Staff in 1985 initially responded to the motion to terminate the proceeding, it informed the Board that it intended to examine the Applicants' restoration plan for the site. The Staff then cited 10 CFR 6 2.107(a) and noted that "an application may be withdrawn subject to the imposition of appropriate conditions, including terms and 2 Public Service Company of Indiana, Inc. (Marble Hill Nuclear Generating Station, Units 1 and 2), LBP-77-52, 6 NRC 294, 317 (1977).
conditions dealing with site restoration." Staff Response at 3, n.6.
In support of its view, the Staff called to the Board's attention Toledo Edison Co. (Davis-Besse Nuclear Power Station, Units 2 and 3), ALAB-65?,
14 NRC 627 (1981). There the Appeal Board approved the action of a Licensing Board requiring the applicant to take certain non-controversial measures to restore the Davis-Besse site as nearly as possible to the pre-LWA state, and to enhance the site's qualities as a wildlife habitat.
Also in 1985 the Staff infonned the Board that the Applicants' plan to undertake remedial action in connection with its surrender of the 3
construction permits is similar to the situations in Bailly and Black Fox.4 Staff Response at 3-4, n.7 and 8. In Bailly the Licensing Board imposed conditions requiring substantial but uncontroversial site restoration. 15 NRC at 768. In Black Fox the Licensing Board went so far as to require the dismantling of site improvements not included in a plan for future use of the Black Fox site. Again, the Black Fox restoration plan was uncontroverted. 17 NRC 410, 412.
3 Northern Indiana Public Service Co. (Bailly Generating Station, Nuclear 1 LBP-82-29,15 NRC 762 (1982).
4 Public Service Co. of Oklahoma, Associated Electric Cooperative, Inc. and Western Farmers Electric Cooperative (Black Fox Station, Units 1and2),LBP-83-10,17NRC410(1983E
In sharp contrast to its position in 1985, the Staff, in its recent supplemental answer, supports the motion to terminate the proceeding based upon a site stabilization plan leaving the Marble Hill site essentially unrestored. The Staff now infoms us enigmatically that "there will be no significant detrimental environmental impact on or offsite resulting from tennination of the proceeding." Affidavit of Dr. Robert B. Samworth at 2.
For their part, the Applicants note that no decision has been made for the future use of the site. The stabilization plan explains that there are no provisions for removal of permanent buildings and restoration of paved and graveled areas. Attachment to Motion.
Clearly if the matter comes before us under 10 CFR 6 2.107(a), we will be required to exercise some judgment as to the terms for withdrawal of the construction permit application. But the papers before us provide no guidance. Accordingly, the parties may, if either should so elect, provide such guidancd in their forthcoming pleadings.
0 Our discussion of Davis-Besse, supra, Bailly, supra, and Black Fox, supra, should not suggest that tne Board is predisposed to a view that would require restoring the Marble Hill site to its pre-LWA state. Two members of this Board constituted the quorum in United States Department of Energy, Project Management Corporation, Tennessee Valley Authority (Clinch River E reeder Reactor Plant),
LBP-85-7, 21 NRC 507 (1985). There the Licensing Board approved a site redress plan which w~s, in essence, a site stabilization plan preserving the Clinch River site for some undetermined future industrial use.
t
i IT IS THEREFORE ORDERED that, within 30 days of the service of this order, the Applicants supplement their motion to terminate this proceeding. The NRC Staff may respond to Applicants' supplement within 15 days following the service of Applicants' supplement.
FOR THE ATOMIC SAFETY AND LICENSING BOARD Ab Ivan W. Smitt,' Chairman ADMINISTRATIVE LAW JUDGF Bethesda, Maryland May 30, 1986
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