|
---|
Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20211N5231999-09-10010 September 1999 Memorandum & Order (CLI-99-24).* Grants Util Motion to Withdraw Without Prejudice Pending Appeal of ASLB Memorandum & Order LBP-99-14 & Vacates LBP-99-14 & LBP-99-17.With Certificate of Svc.Served on 990910 ML20211J8041999-09-0303 September 1999 Order.* Time within Which Commission May Take Sua Sponte Review Pursuant to 10CFR2.786(a) of Board Order (LBP-99-27) Hereby Extended to 990910.With Certificate of Svc.Served on 990903 ML20216D6571999-07-28028 July 1999 Memorandum & Order (Termination of Proceeding).* Orders That Intervenor 990517 Contentions Be Dismissed as Moot & Licensee Motion to Terminate Proceeding Be Granted.With Certificate of Svc.Served on 990729 ML20196K5271999-07-0606 July 1999 NRC Staff Response to Yankee Atomic Electric Co Motion to Terminate Proceeding.* for Listed Reasons,Licensing Board Should Grant Motion to Withdraw Application & Terminate Proceedings.With Certificate of Svc ML20212J5661999-07-0101 July 1999 Notice of Withdrawal.* Notice Given That Effective 990701 ML Zobler Withdraws Appearance in Yankee Atomic Electric Co Proceeding.All Mail & Service Lists Should Be Amended to Delete Name After That Date.With Certificate of Svc ML20212J6251999-06-29029 June 1999 Motion for Leave to Reply (Intervenor 990623 & 24 Filings).* Board Should Enter Order Terminating Proceeding,Without Prejudice & Without Conditions.With Certificate of Svc ML20196F1321999-06-24024 June 1999 Necnp Reply to LBP-99-22.* Recommends That Panel Should Grant Relief That Intervenors Requested for Reasons Stated. with Certificate of Svc ML20196F3801999-06-23023 June 1999 CAN Reply to Board Order of 990614.* Board Should Find Way to Satisfy Public Right to Know Answers to Questions CAN & Others Raised Re Yankee Rowe Site Contamination.Fees,Costs & Expenses Justified.With Certificate of Svc ML20196F1651999-06-22022 June 1999 Response to Board Request for Answers to Questions & Other Matters.* Contends That Intervenors & Public Interest Have Been Severely Prejudiced by Failure of Proceeding to Adjudicate Matters at Issue.With Certificate of Svc ML20196B1621999-06-17017 June 1999 Response of Yankee Atomic Electric Company to LBP-99-22.* Informs That Board Should Enter an Order Terminating Proceeding,Without Prejudice & Without Conditions. with Certificate of Svc 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 ML20195H3941999-06-15015 June 1999 NRC Staff Response Re Yaec Board Notification (Withdrawal of Application) & Motion to Terminate Proceeding & Dismiss Appeal.* Commission Should Hold Abeyance Any Action on Yaec Motion to Dismiss Appeal.With Certificate of Svc ML20195F5551999-06-14014 June 1999 Memorandum & Order (Requesting Replies to Necnp Response to Termination Motion).* Parties Invited to Reply to Necnp 990607 Response No Later than 10 Days Following Svc of This Memorandum & Order.With Certificate of Svc.Served on 990614 ML20207H5791999-06-14014 June 1999 Motion of Yankee Atomic Electric Co for Leave to Respond to Intervenor Opposition To...Motion to Terminate (Etc).* Board Should Enter Order Terminating Proceeding,Without Prejudice & Without Conditions.With Certificate of Svc ML20207G2021999-06-0707 June 1999 Yankee Response to Intervenors Motion in Support of Yankee Motion for Dismissal of Appeal.* Recommends That Appeal Should Be Dismissed as Moot for Reasons Stated.With Certificate of Svc ML20195D7081999-06-0707 June 1999 Intervenor Opposition to Yankee Atomic Electric Co Motion to Terminate & Proposed Form of Order for Expenses,Fees & Responses to Discovery.* Panel Requested to Grant Motion to Withdraw by Imposing Conditions ML20195D7871999-06-0707 June 1999 Declaration of Jm Block,Attorney,New England Coalition on Nuclear Pollution,Inc.* Informs That Necnp Has Incurred Listed Expenses & Generated Listed Attorney Hours in Course of Proceeding.With Certificate of Svc ML20195D7281999-06-0606 June 1999 Declaration of F Katz,President,Citizens Awareness Network, Inc.* Informs That CAN Has Incurred Listed Expenses in Course of Entire Proceeding to Date ML20195C9301999-06-0505 June 1999 Motion in Support of Yankee Atomic Electric Co Motion for Dismissal of Appeal.* Commission Should Immediately Grant Yankee Atomic Electric Co Motion to Dismiss Pending Appeal & Dismiss Appeal with Prejudice.With Certificate of Svc ML20207D7031999-05-26026 May 1999 Board Notification (Withdrawal of Application) & Motion to Terminate Proceeding & Dismiss Appeal.* Commission Suggests That Pending Appeal by Licensee from LBP-99-14,should Be Dismissed.With Certificate of Svc ML20206Q2051999-05-17017 May 1999 Necnp Request for Permission to File Contentions & Contentions on Inadequacy of NRC Staff 990412 Environ Assessment & Finding of No Significant Impact of Approval of Yankee Nuclear Power Co License Termination Plan.* ML20206Q2391999-05-14014 May 1999 Declaration of Rj Ross,Cgwp,Hydrogeologist.* Declaration of Rj Ross Re NRC Staff Environ Assessment & Finding of No Significant Impact on License Termination Plan for Yankee Nuclear Power Station ML20206P1481999-05-13013 May 1999 Board Notification.* Informs That Yankee Determined to Modify Plan for Final Status Survey of Ynps Site So as to Employ so-called Marssim Survey Methodology Instead of 5849 Survey Methodology.With Certificate of Svc ML20206Q2261999-05-13013 May 1999 Second Declaration of M Resnikoff.* Declaration of M Resnikoff Re NRC Staff Environmental Assessment on Yankee License Termination Plan ML20206D1931999-04-30030 April 1999 CAN First Set of Interrogatories & Requests to Produce Served Upon Yaec.* Incorporates & Republishes General Instructions in Necnp First Set of Interrogatories & Requests.With Certificate of Svc.Related Correspondence ML20206B7131999-04-27027 April 1999 NRC Staff Response to Letter from Necnp.* Recommends That Jm Block 990424 Request That Board Take Action Re EA Prepared in Connection with Staff Review of LTP Filed by Yaec Be Denied for Reasons Stated.With Certificate of Svc ML20205R4631999-04-22022 April 1999 Memorandum & Order (Denying Motion for Reconsideration of Contention 4).* Yaec Motion for Reconsideration of Portion of LBP-99-14 That Admitted Necnp/Can Contention 4 Denied. with Certificate of Svc.Served on 990422 ML20205Q6921999-04-19019 April 1999 Erratum to Reply Brief of Intervenor Citizens Awareness Network,Inc to Yaec Appeal of Prehearhing Conference Order of ASLB (LBP-99-14) on 990317.* Reply Included Draft Front Page.With Certificate of Svc ML20205S0181999-04-19019 April 1999 Erratum,Reply Brief of Intervenor Citizens Awareness Network Inc to Yaec Appeal of Prehearing Conference Order of ASLB (LBP-99-14) on 990317.* Draft Front Page Was Inadvertently Included in Reply Brief.With Certificate of Svc ML20205S0251999-04-17017 April 1999 Necnp First Set of Interrogatories & Requests to Produce Served Upon Yaec.* Answers & Documents Should Be Provided to Listed Persons,At Each Round of Discovery Re License Termination Plan ML20205Q9151999-04-16016 April 1999 on Appeal from Prehearing Conference Order of ASLB Issued 990317 (LBP-99-14).Reply Brief of Intervenor Necnp.* LBP-99-14 Should Be Upheld.Preceeding Should Go Forward. with Certificate of Svc ML20205Q0661999-04-16016 April 1999 Citizens Awareness Network,Inc Reply to Yaec Appeal of Prehearing Conference Order.* Requests That Yaec Appeal of ASLB Prehearing Conference Order Be Denied for Foregoing Reasons of Law,Regulations & Fact.With Certificate of Svc ML20205P8821999-04-16016 April 1999 NRC Staff Response in Support of Yankee Atomic Electric Co Appeal of LBP-99-14.* Commission Should Grant Licensee Appeal & Reverse ASLB Decision in LBP-99-14.With Certificate of Svc ML20205P9161999-04-15015 April 1999 Opposition to Appeal from Prehearing Conference Order of Atomic Safety & Licensing Board Filed by Yae Issued 990317 (LBP-99-14).* Petitioner Requests That Commission Deny Appeal & Uphold LBP-99-14.With Certificate of Svc ML20205P8851999-04-14014 April 1999 Erratum (Reconsideration of Portion of Prehearing Conference Order).* Licensee Learned That Yae Incorrect in Stating That Decommissioning Plan Had Been Approved on Basis of TEDE Analysis.With Certificate of Svc ML20205P1851999-04-12012 April 1999 Motion for Leave to Reply (Reconsideration of Portion of Prehearing Conference Order).* Util Requests That Board Reconsider LBP-99-14 & Upon Consideration, Contention 4 Be Excluded.With Certificate of Svc ML20205P1151999-04-12012 April 1999 Motion for Leave to Reply to Yaec Motion for Leave to Reply (Reconsideration of Portion of Prehearing Order) & Yaec Reply.* Moves for Leave to Submit Reply to Yaec Reply or to Supplement Necnp Orginal Reply.With Certificate of Svc ML20205K9541999-04-0909 April 1999 Necnp Opposition to Yaec Motion to Reconsider Part of Prehearing Conference Order.* Necnp Requests That Panel Either Deny Yaec Omr Outright or Reconsider & Modify Contention 4 Only in Ways Suggested.With Certificate of Svc ML20205J3421999-04-0909 April 1999 NRC Staff Response to Yae Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order.* Staff Agrees with Yae Arguments Supporting Motion.Board Should Grant Motion.With Certificate of Svc ML20205K8691999-04-0909 April 1999 Citizens Awareness Network,Inc Reply to Yankee Atomic Electric Co Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order.* Licensee Motion for Reconsideration Should Be Denied.With Certificate of Svc ML20205K9181999-04-0808 April 1999 Opposition to Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order Filed by Yaec.* Franklin Regional Council of Governments Opposes Motion & Requests That Board Deny Motion.With Certificate of Svc ML20205G0961999-04-0606 April 1999 Notice of Hearing.* Hearing Will Be Conducted in Proceeding Re License Termination Plan.With Certificate of Svc.Served on 990406 ML20205G0791999-04-0101 April 1999 on Appeal from Prehearing Conference Order of Atomic Safety & Licensing Board Issued 990317 (LBP-99-14)Brief of Licensee.* LBP-99-14 Should Be Reversed & Proceeding Should Be Dismissed.With Certificate of Svc ML20205G0661999-04-0101 April 1999 Notice of Appeal.* Util Appeals Prehearing Conference Order of Slb Denominated LBP-99-14,issued on 990317 & Served on Util on 990317.With Certificate of Svc ML20205E2861999-04-0101 April 1999 Memorandum & Order (Telephone Conference on 990331).* Orders That Responses by Intervenors & NRC Staff to Reconsideration Motion Are to Be Filed with ASLB by COB 990409.With Certificate of Svc.Served on 990401 ML20205G1461999-03-31031 March 1999 Transcript of Util (Yankee Nuclear Power Station) Telcon.* Telcon Held on 990331 in Rockville,Md.Pp 283-329 ML20205E2071999-03-28028 March 1999 Objection to & Motion of Yaec for Reconsideration of Portion of Prehearing Conference Order.* as Listed,Yaec Requests That Board Reconsider as Listed & Requests That Contention 4 of LBP-96-18 Be Excluded.With Certificate of Svc ML20205A8111999-03-25025 March 1999 Notice of Change of Address.* D Curran Hereby Gives Notice That as of 990329,Curran Mailing & e-mail Address Will Change to Address Listed.With Certificate of Svc ML20207M3491999-03-17017 March 1999 Prehearing Conference Order (Ruling on Contentions).* Approves Four Contentions Advanced by Necnp & CAN & Grants Requests for Hearing & Petitions for Leave to Intervene of Petitioners.With Certificate of Svc.Served on 990318 ML20202E9891999-01-27027 January 1999 Transcript of 990127 Prehearing Conference in Greenfield,Ma Re Yankee Atomic Electric Co (Yankee Nuclear Power Station). Pp 176-282 1999-09-03
[Table view] Category:PLEADINGS
MONTHYEARML20196K5271999-07-0606 July 1999 NRC Staff Response to Yankee Atomic Electric Co Motion to Terminate Proceeding.* for Listed Reasons,Licensing Board Should Grant Motion to Withdraw Application & Terminate Proceedings.With Certificate of Svc ML20212J6251999-06-29029 June 1999 Motion for Leave to Reply (Intervenor 990623 & 24 Filings).* Board Should Enter Order Terminating Proceeding,Without Prejudice & Without Conditions.With Certificate of Svc ML20196F1321999-06-24024 June 1999 Necnp Reply to LBP-99-22.* Recommends That Panel Should Grant Relief That Intervenors Requested for Reasons Stated. with Certificate of Svc ML20196F1651999-06-22022 June 1999 Response to Board Request for Answers to Questions & Other Matters.* Contends That Intervenors & Public Interest Have Been Severely Prejudiced by Failure of Proceeding to Adjudicate Matters at Issue.With Certificate of Svc ML20196B1621999-06-17017 June 1999 Response of Yankee Atomic Electric Company to LBP-99-22.* Informs That Board Should Enter an Order Terminating Proceeding,Without Prejudice & Without Conditions. with Certificate of Svc ML20195H3941999-06-15015 June 1999 NRC Staff Response Re Yaec Board Notification (Withdrawal of Application) & Motion to Terminate Proceeding & Dismiss Appeal.* Commission Should Hold Abeyance Any Action on Yaec Motion to Dismiss Appeal.With Certificate of Svc ML20207H5791999-06-14014 June 1999 Motion of Yankee Atomic Electric Co for Leave to Respond to Intervenor Opposition To...Motion to Terminate (Etc).* Board Should Enter Order Terminating Proceeding,Without Prejudice & Without Conditions.With Certificate of Svc ML20207G2021999-06-0707 June 1999 Yankee Response to Intervenors Motion in Support of Yankee Motion for Dismissal of Appeal.* Recommends That Appeal Should Be Dismissed as Moot for Reasons Stated.With Certificate of Svc ML20195D7081999-06-0707 June 1999 Intervenor Opposition to Yankee Atomic Electric Co Motion to Terminate & Proposed Form of Order for Expenses,Fees & Responses to Discovery.* Panel Requested to Grant Motion to Withdraw by Imposing Conditions ML20195C9301999-06-0505 June 1999 Motion in Support of Yankee Atomic Electric Co Motion for Dismissal of Appeal.* Commission Should Immediately Grant Yankee Atomic Electric Co Motion to Dismiss Pending Appeal & Dismiss Appeal with Prejudice.With Certificate of Svc ML20207D7031999-05-26026 May 1999 Board Notification (Withdrawal of Application) & Motion to Terminate Proceeding & Dismiss Appeal.* Commission Suggests That Pending Appeal by Licensee from LBP-99-14,should Be Dismissed.With Certificate of Svc ML20206B7131999-04-27027 April 1999 NRC Staff Response to Letter from Necnp.* Recommends That Jm Block 990424 Request That Board Take Action Re EA Prepared in Connection with Staff Review of LTP Filed by Yaec Be Denied for Reasons Stated.With Certificate of Svc ML20205Q6921999-04-19019 April 1999 Erratum to Reply Brief of Intervenor Citizens Awareness Network,Inc to Yaec Appeal of Prehearhing Conference Order of ASLB (LBP-99-14) on 990317.* Reply Included Draft Front Page.With Certificate of Svc ML20205S0181999-04-19019 April 1999 Erratum,Reply Brief of Intervenor Citizens Awareness Network Inc to Yaec Appeal of Prehearing Conference Order of ASLB (LBP-99-14) on 990317.* Draft Front Page Was Inadvertently Included in Reply Brief.With Certificate of Svc ML20205Q0661999-04-16016 April 1999 Citizens Awareness Network,Inc Reply to Yaec Appeal of Prehearing Conference Order.* Requests That Yaec Appeal of ASLB Prehearing Conference Order Be Denied for Foregoing Reasons of Law,Regulations & Fact.With Certificate of Svc ML20205P8821999-04-16016 April 1999 NRC Staff Response in Support of Yankee Atomic Electric Co Appeal of LBP-99-14.* Commission Should Grant Licensee Appeal & Reverse ASLB Decision in LBP-99-14.With Certificate of Svc ML20205P9161999-04-15015 April 1999 Opposition to Appeal from Prehearing Conference Order of Atomic Safety & Licensing Board Filed by Yae Issued 990317 (LBP-99-14).* Petitioner Requests That Commission Deny Appeal & Uphold LBP-99-14.With Certificate of Svc ML20205P1151999-04-12012 April 1999 Motion for Leave to Reply to Yaec Motion for Leave to Reply (Reconsideration of Portion of Prehearing Order) & Yaec Reply.* Moves for Leave to Submit Reply to Yaec Reply or to Supplement Necnp Orginal Reply.With Certificate of Svc ML20205P1851999-04-12012 April 1999 Motion for Leave to Reply (Reconsideration of Portion of Prehearing Conference Order).* Util Requests That Board Reconsider LBP-99-14 & Upon Consideration, Contention 4 Be Excluded.With Certificate of Svc ML20205K8691999-04-0909 April 1999 Citizens Awareness Network,Inc Reply to Yankee Atomic Electric Co Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order.* Licensee Motion for Reconsideration Should Be Denied.With Certificate of Svc ML20205J3421999-04-0909 April 1999 NRC Staff Response to Yae Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order.* Staff Agrees with Yae Arguments Supporting Motion.Board Should Grant Motion.With Certificate of Svc ML20205K9541999-04-0909 April 1999 Necnp Opposition to Yaec Motion to Reconsider Part of Prehearing Conference Order.* Necnp Requests That Panel Either Deny Yaec Omr Outright or Reconsider & Modify Contention 4 Only in Ways Suggested.With Certificate of Svc ML20205K9181999-04-0808 April 1999 Opposition to Objection to & Motion for Reconsideration of Portion of Prehearing Conference Order Filed by Yaec.* Franklin Regional Council of Governments Opposes Motion & Requests That Board Deny Motion.With Certificate of Svc ML20205G0791999-04-0101 April 1999 on Appeal from Prehearing Conference Order of Atomic Safety & Licensing Board Issued 990317 (LBP-99-14)Brief of Licensee.* LBP-99-14 Should Be Reversed & Proceeding Should Be Dismissed.With Certificate of Svc ML20205E2071999-03-28028 March 1999 Objection to & Motion of Yaec for Reconsideration of Portion of Prehearing Conference Order.* as Listed,Yaec Requests That Board Reconsider as Listed & Requests That Contention 4 of LBP-96-18 Be Excluded.With Certificate of Svc ML20199L2121999-01-25025 January 1999 NRC Staff Response to Franklin Regional Council of Governments (Frcog) Motion for Leave to Intervene.* Board Should Allow Frcog to Participate in Hearing That Board May Otherwise Order.With Certificate of Svc ML20202E9491999-01-21021 January 1999 Request for Leave to Make Oral Limited Appearance Statement in Matter of Ynps License Termination Plan,Prehearing Conference 990126.* Corrects Date of Conference & Oral Appearance from 990127 to 990126 ML20199E6631999-01-20020 January 1999 Response of Yankee Atomic Electric Co to Franklin Regional Council of Governments Motion for Leave to Participate.* Board Should Grant Franklin Regional Council of Governments Interested State Status.With Certificate of Svc ML20198N2271998-12-30030 December 1998 Motion for Leave to Participate.* Franklin Regional Council of Govts Requests That NRC Conduct Public Hearing to Formally Address Listed Serious Issues.With Certificate of Svc ML20237D9171998-08-25025 August 1998 NRC Staff Response Opposing Necnp Motion for Leave to File Reply Brief.* Commission Should Deny Necnp Motion to File Reply.Brief.W/Certificate of Svc ML20236X9831998-08-0707 August 1998 New England Coalition on Nuclear Pollution Errata to Reply Brief on Appeal of LBP-98-12.* List of Changes to 980805 Reply Brief on Appeal of LBP-98-12 Submitted.W/Certificate of Svc ML20236X4671998-08-0505 August 1998 New England Coalition on Nuclear Pollution Reply Brief on Appeal of LBP-98-12.* for Reasons Stated,Necnp Should Be Granted & Admitted as Intervenor Pending Submission of at Least One Admissible Contention.W/Certificate of Svc ML20236X4511998-08-0505 August 1998 New England Coalition on Nuclear Pollution Motion for Leave to File Reply Brief on Appeal of LBP-98-12.* for Reasons Stated,New England Coalition on Nuclear Pollution Should Be Allowed to File Attached Reply Brief ML20236T8431998-07-27027 July 1998 NRC Staff Response to New England Coalition on Nuclear Pollution Appeal of LBP-98-12.* for Reasons Discussed, Commission Should Deny New England Coalition on Nuclear Pollution Appeal & Affirm LBP-98-12.W/Certificate of Svc ML20236N8781998-07-14014 July 1998 NRC Staff Response to Franklin Regional Planning Board Appeal of LBP-98-12.* Commission Should Deny Franklin Regional Planning Board Appeal & Should Affirm Licensing Board Decision in LBP-98-12.W/Certificate of Svc ML20236M4661998-07-13013 July 1998 NRC Staff Response to Citizens Awareness Network Appeal of LBP-98-12.* Citizens Awareness Network Appeal Should Be Denied & LBP-98-12 Should Be Affirmed,For Listed Reasons. W/Certificate of Svc ML20236J1311998-06-29029 June 1998 Franklin Regional Planning Board Brief to Support Appeal.* Franklin Regional Planning Board Requests That Appeal Be Allowed & Given Standing in Proceeding.W/Certificate of Svc ML20236F5141998-06-27027 June 1998 Citizens Awareness Network,Inc Notice of Appeal.* ML20249B7491998-06-22022 June 1998 New England Coalition on Nuclear Pollution Motion for Extension of Time to File Appeal & Request for Expedited Consideration.* Extension Requested Until 980710,in Which to Appeal LBP-98-12.W/Certificate of Svc ML20216D1601998-05-19019 May 1998 NRC Staff Response to Citizens Awareness Network Reply to NRC Staff Answer to Amended Petition to Intervene.* Opines That Citizens Awareness Network Request to Strike Portions of Staff Response Should Be Denied.W/Certificate of Svc ML20217R1831998-05-12012 May 1998 NRC Staff Response to Yankee Atomic Electric Co Motion to Strike Unauthorized Pleadings.* Staff Supports Licensee Motions to Strike Unauthorized Replies.W/Certificate of Svc ML20216D1191998-05-12012 May 1998 Answer of Yankee Atomic Electric Co to Necnp & CAN Motions.* Necnp Motion Should Be Denied in Entirety.Yankee Takes No Position on CAN Motion for Separate Decision on Standing. W/Certificate of Svc ML20217R2461998-05-11011 May 1998 Citizens Awareness Network Support for New England Coalition on Nuclear Pollution,Inc Opposition to Yaec Motions to Strike & for Conditional Leave to Reply & Proposed Order Re Motions & Related Issues Before....* W/Certificate of Svc ML20217R1911998-05-11011 May 1998 Franklin Regional Planning Board Conditional Reply & Support for New England Coalition on Nuclear Pollution,Inc Opposition & Proposed Order & Motion for Leave to Reply to Yaec New Evidence Filing.* W/Certificate of Svc ML20217R2541998-05-0707 May 1998 New England Coalition on Nuclear Pollution,Inc Opposition to Yaec Motions to Strike & for Conditional Leave to Reply & Proposed Order Relating to Motions & Related Issues Before Panel.* ML20217R2241998-05-0505 May 1998 Motion of Yankee Atomic Electric Co for Leave to Reply to New Planning Board Evidence.* Petition of Planning Board to Intervene Should Be Denied as Untimely & for Lack of Standing.W/Certificate of Svc ML20217R2591998-05-0404 May 1998 Citizens Awareness Network,Inc Reply to NRC Staff Answer to Amended Petition to Intervene.* NRC Staff Statement on Merits of Case Should Be Stricken from Answers.W/Certificate of Svc ML20217Q0691998-05-0202 May 1998 Franklin Regional Planning Board Conditional Motion for Leave to Reply & Motion to Strike Yaec Unauthorized Motion to Strike & Conditional Motion for Leave to Reply Thereto.* Requests That Motions Be Denied.W/Certificate of Svc ML20217N2681998-05-0101 May 1998 Motion of Yankee Atomic Electric Co to Strike Unauthorized Necnp Pleading & Conditional Motion for Leave to Reply Thereto.* Filing of 980428,should Be Stricken & Petition of Necnp to Intervene Should Be Denied.W/Certificate of Svc ML20217N3051998-04-30030 April 1998 Motion of Yankee Atomic Electric Co to Strike Unauthorized Planning Board Pleading & Conditional Motion for Leave to Reply Thereto.* Planning Board Filing of 980428 Should Be Stricken & Petition Denied.W/Certificate of Svc 1999-07-06
[Table view] |
Text
,-l 2,1 April 9,1999
't V DOCKETED UNITED STATES OF AMERICA USNPC NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD W APR -9 P4 :03 In the Matter of ) O'F( ,
l
) Ak$Y ;F YANKEE ATOMIC ELECTRIC COMPANY ) Docket No. 50-029-LA
)
(Yankee Nuclear Power Station) )
)
NRC STAFF RESPONSE TO YANKEE ATOMIC ELECTRIC COMPANY'S OBJECTION TO AND MOTION FOR RECONSIDERATION OF A PORTION OF PREHEARING CONFERENCE ORDER INTRODUCTION On March 29,1999, Yankee Atomic Electric Company (YAEC) filed " Objection to and Motion of Yankee Atomic Electric Company for Reconsideration of a Portion of Prehearing Conference Order," in which YAEC objected to and sought reconsideration of as much of LBP-99-14, the Atomic Safety and Licensing Board's (Board's) Prehearing Conference Order (Ruling on Contentions), dated March 17,1999, as admitted the contention restated and renumbered by the Board as Contention 4. As discussed below, the NRC staff supports YAEC's motion and urges the Board to grant YAEC the reliefit requests.
BACKGROUND Insofar as it is relevant here, the background underlying YAEC's motion is as follows.
Pursuant to a Board Order of November 30,1998, New England Coalition on Nuclear Pollution ( NECNP) and Citizens Awareness Network (CAN) filed contentions on January 2,1999, and January 5,1999, respectively. NECNP and CAN each filed eight contentions.
9904120013 990409 PDR ADOCK 05000029 Q -PDR _
+
t On January 20,1999, YAEC and the NRC staff filed responses to petitioners' contentions.
The Board conducted a prehearing conference on January 25-26,1999, and, on March 17, 1999, issued LBP-99-14,its prehearing conference order,in which it did not admit any of NECNP or CAN's contentions as submitted but admitted four " consolidated" contentions fashioned by the Board from various bases offered in support of the contentions submitted by NECNP/CAN and from remarks made at oral argument.
As noted above, on March 29,1999, YAEC filed a motion in which it sought reconsideration of LBP-99-14 insofar as it renumbered and restated various bases submitted by NECNP and CAN, and combined them with arguments advanced at the prehearing conference, to formulate Contention
- 4. On April 1,1999, YAEC also appealed LBP-99-14 to the Commission pursuant to 10 C.F.R.
I 2.714a.
DISCUSSION As admitted by the Board, the contention at issue, Contention 4, reads as follows:
Contrary to the requirements of 10 C.F.R. i 50.82, the methodology YAEC employs in the LTP for the selection of applicable scenarios for the calculation ofits final release doses is not adequate to demonstrate that the LTP will assure the protection of the public health and safety, l
LBP-99-14, slip op. at 41. Although Contention 4 as written is very broad, the Board explains its rationale for Contention 4 at pages 17-20 of LBP-99-14, and concludes that Contention 4, if proved, would require the LTP to be amended to define the average member of the critical group to be a gardener.
l i
1 i
p A. YAEC's proposal need not satisfy regulations that are not aoolicable to its site, YAEC objects to the Board's admission of Contention 4 insofar as it would impose a regulatory requirement not applicable to the Yankee Rowe site, namely 10 C.F.R. l 20.1402.
Section 20.1402 provides that a site will be acceptable for unrestricted use if the residual I
radioactivity that is distinguishable from background radiation results in a total effective dose equivalent (TEDE) to the average member of the critical group that does not exceed 25 mrem per j year. YAEC correctly asserts that its site is exempt from this regulatory requirement by virtue of
- its being governed by 10 C.F.R. 5 20.1401(b), that is, by Yankee Rowe's being a plant govemed by the criteria in the Site Decommissioning Management Plan (SDMP) Action Plan. Motion at 3.
YAEC notes that LBP-99-14 acknowledges as much. Motion at 3, citing LBP-99-14 at 17.
The Staff agrees with YAEC. The regulations in 10 C.F.R. I 20.1401(b) exempt the Yankee I
Rowe site from "the criteria in this subpart," i.e., Subpart E of Part 20. Any doubt about the applicability of 10 C.F.R. I 20.1402 to the Yankee Rowe site can be resolved by referring to the Statement of Consideration on the adoptien of the %al rule, Radiological Criteria for License Termination,62 Fed. Reg. 39058 (July 21,1997) at 39080, concerning "Grandfathering Sites with l Previously Approved Plans (Proposed Rule 20.1401 (b))":
Section 20.1401 (b) of the proposed rule indicated that the criteria do not apply to sites already covered by a decommissioning plan approved by the Commission before the effective date of the final rule and in accordance with the criteria identified in the SDMP Action Plan of April 16,1992 (57 FR 13389). . . . The final rule has retained the grandfathering provision. However, it has been modified to include facilities whose plans are in the final stages of decommissioning plan preparation and decision.
YAEC argues further that, in stating that "Because the LTP . . . commits to the 15 nurm/yr
[TEDE] dose criteri[on] that is consistent with 10 C.F.R. I 20.1402, we will also treat that standard as goveming (as 'well as the SDMP release criteria)," Motion at 4, citing LBP-99-14 at 17-18
l p (emphasis added by YAEC), the Board is in effect permitting a challenge to a voluntary undertaking.
l J
YAEC's voluntary commitment to a dose of 15 mrem /yr TEDE or less to the average member of the J critical group should not cause this commitment to be subject to the standards of 10 C.F.R.
I 20.1402.
YAEC also argues that compliance with the Commission's regulations, i.e., the SDMP l Action Plan requirements, is a sufficient basis for granting a license and that the Board's admission of contentions must be limited to challenges to YAEC's compliance with applicable Commission l regulations. Motion at 4-5, citing Statement ofPolicy: Further Commission Guidancefor Power l
Reactor Operating Licenses, CLI-81-16,14 NRC 14,17 (1980) ) (Commissioners Ahearne and Hendrie, Concurring); Public Service Company ofNew Hampshire (Seabrook Statiori , Units 1.and 2), ALAB-422, 6 NRC 33,42-43 (1977); Maine Yankee Atomic Power Company (Maine Yankee Atomic Power Station), ALAB-161,6 AEC 1003,1005-10 (1973), ag'd, Citizensfor Safe Power
- v. NRC,524 F.2d 1291 (D.C. Cir.1975). The Staff agrees that in order for YAEC to be granted the i license amendment it now seeks its application must meet applicable regulations. Applicable regulations do not include 10 C.F.R. I 20.1402 and the Staff can find no support for the proposition l
that, in offering to do more than is required, YAEC has become subject to regulations that are not otherwise applicable.
B. Contention 4 imocrmissibiv attacks 10 C.F.R. 6 20.1402.
l YAEC argues that, even if 10 C.F.R. I 20.1402 were applicable, Contention 4 as restated and admitted by the Board challenges 10 C.F.R. I 20.1402,in that the regulation is based on a dose to the " average member of the critical group" while consolidated Contention 4 is based on the dose 1
to "one particular individual with non-average parameters." Motion at 7 (emphasis in the original).
This approach was specifically rejected by the Commission in its Statement of Consideration on the
~~
l
p y adoption of Subpan E to Part 20. See 62 Fed. Reg. 39058 at 39067-68," Average Member of the Critical Group." It was, also, as pointed out by YAEC, rejected by the Board itself in rejecting NECNP's contention asserting that YAEC should have considered the dose to children. See Motion ,
at 7, citing LBP-99-14 at 18. The Board should reconsider its determination to accept Contention
'4 and reject it as constituting a challenge to a regulation. A challenge to a regulation may only be attempted pursuant to 10 C.F.R. I 2.758.
C. Contention 4 lacks basis.
YAEC argues that Contention 4 is not supported by the type of basis 10 C.F.R. 5 2.714 requires. Motion at 8. YAEC points out that Contention 4 appears to rely for its basis on the assertion made by CAN, in oral argument, that the residential scenario adopted by YAEC in its LTP "has no relevance to our community." Such an assertion, without more, falls far short of the requirement for specificit'y as set forth in 10 C.F.R.6 2.714(b)(2)(ii) (which requires "a concise statement of the alleged facts or expert opimon which suppon the contention and on which the petitioner intends to rely in proving the contention at the hearing, together with references to those specific sources and documents of which the petitioner is aware and on which the petitioner intends to rely to establish those facts or expert opinion"). The Staff agrees that Contention 4 does not satisfy the specificity standards in 10 C.F.R. I 2.714(b) and that the Board should on reconsideration reject Contention 4.
D. Contention 4 is imoermissibiv varue.
YAEC describes Contention 4 as " hopelessly vague" in failing to identify the specific issue of law or fact to be raised or controvened that 10 C.F.R. I 2.714(b)(2) requires. Motion at 9. The l
Staff agrees. The Statement of Consideration on the adoption of the final rule on Radiological Criteria for License Termination,62 Fed. Reg. 39058, makes clear that the dose limit is to the
D t average member of the critical group within the assumptions of a particular occupancy scenario. At 39067-68. What the Board has done is to allow a challenge to YAEC's residential farmer scenario without providing the necessmy assumptions underlying the gardener scenario. For example, Contention 4 does not supply the number of hours the postulated gardener engages in the activities that define his gardening role, much less information concerning whether and how those hours add (
up to a greater dose than that incurred by the average member of the residential farmer group. In this context, a lack of numbers is a lack of specificity. Without these numbers, YAEC would be unable to calculate a dose based on the scenario. Thus, as YAEC correctly argues, there is no way it can prove or disprove the contention at trial. The Staff agrees with YAEC that Co) ,;ntion 4 is so vague as not to provide an opposing party with notice of what it must defend against. On reconsideration )
the Board should reject Contention 4 for this reason.
CONCLUSION As discussed above, the Staff agrees with YAEC's arguments supporting its motion for reconsideration. The Board should grant the motion.
Respectfully submitted,
[ t/lAA o c1 c3 Cl^-
Ann P. Hodgdon Counsel for NRC Staff O Dated at Rockville, Maryland this 9th day of April,1999.
I 1
r i
l*
l 00CKETED l% UNITED STATES OF AMERICA USSRC
( NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOAMD OFW .
l In the Matter of
) Rut r l
ADJUU
)
l YANKEE ATOMIC ELECTRIC COMPANY ) Docket No. 50-029-LA l )
(Yankee Nuclear Power Station) )
CERTIFICATE OF SERVICE
, l I hereby certify that copics of "NRC STAFF RESPONSE TO YANKEE ATOMIC ELECTRIC COMPANY'S OBJECTION TO AND MOTION FOR RECONSIDERATION OF
, A PORTION OF PREHEARING CONFERENCE ORDER"in the above-captioned proceeding ;
have been served on the,following by hand-delivery, or by facsimile transmission, as indicated by an asterisk, or through deposit in the Nuclear Regulatory Commission's internal mail system, as indicated by a double asterisk, this 9th day of April,1999:
Charles Bechhoefer, Chairman Dr. Thomas S. Elleman*
Administrative Judge Administrative Judge Atomic Safety and Licensing Board Atomic Safety and Licensing Board i Mail Stop T 3-F-23 704 Davidson Street U.S. Nuclear Regulatory Commission Raleigh, NC 27609 Washington, DC 20555 FAX: (919) 782-7975 Thomas D. Murphy Thomas G. Dignan, Jr.*
Administrative Judge R. K. Gad,III Atomic Safety and Licensing Board Counsel for Licensee Mail Stop T 3-F-23 Ropes & Gray i
U.S. Nuclear Regulatory Commission One International Plaza Washington, DC 20555 Boston, MA 02110 l FAX:(617) 951-7050 l
1 4
I u-
E a
' l Samuel H. Lovejoy* Jonathan M. Block, Esq.*
Franklin Regional Council of Governments New England Coalition on Nuclear 425 Main Street Pollution,Inc.
Greenfield, MA 01301 Main Street FAX:(413) '
774-3169 P.O. Box 566 Putney, Vermont 05346-0566 FAX:(802) 387-2646 Atomic Safety and Licensing Board Deborah B. Katz, President
- Citizens Awareness Network,Inc.
Mail Stop T 3-F-23 P.O. Box 3023 U.S. Nuclear Regulatory Commission Charlemont, MA 01339-3023 Washington, DC 20555 FAX (413) 339-8768 Adjudicatory File (2)** Office of the Commission Appellate Atomic Safety and Licensing Board Adjudication **
Mail Stop T 3-F-23 Mail Stop 016-C-1 U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, DC 20555 Washington, DC 20555 1
Office of the Secretary ** l ATTN: Rulemaking and Adjudications Staff Mail Stop 016-C-1 U.S. Nuclear Regulatory Commission Washington, DC 20555 l
~
M u_. 6 -s ow Ann P. Hodgdon Counsel for NRC Staff b
l l