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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217E0881999-10-18018 October 1999 Order (Granting Discovery Extension Request).* Board of Commission of Orange County 991013 Motion for Extension of 991031 Discovery Deadline,Granted,In That Parties Shall Have Up to 991104.With Certificate of Svc.Served on 991018 ML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20216E2041999-07-29029 July 1999 Memorandum & Order (Granting Request to Invoke 10CFR Part 2, Subpart K Procedures & Establishing Schedule).* Board Grants Carolina Power & Light Co 990721 Request to Proceed Under Subpart K.With Certificate of Svc.Served on 990730 ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20209D1791999-07-12012 July 1999 Memorandum & Order (Ruling on Standing & Contentions).* Grants Petitioner 990212 Hearing Request Re Intervention Petition Challenging CP&L 981223 Request for Increase in Sf Storage Capacity.With Certificate of Svc.Served on 990712 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20196A8751999-06-22022 June 1999 Order (Corrections to 990513 Prehearing Conference Transcript).* Proposed Corrections to Transcript of Board 990513 Initial Prehearing Conference Submitted by Petitioner & Application.With Certificate of Svc.Served on 990622 ML20207D6991999-05-27027 May 1999 Orange County Proposed Corrections to Transcript of 990113 Prehearing Conference.* Orange County Submits Proposed Corrections to Transcript of Prehearing Conference of 990513.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20206R8731999-05-20020 May 1999 Memorandum & Order (Transcript Corrections & Proposed Restatement of Contention 3).* Any Participant Wishing to Propose Corrections to Transcript of 990513,should Do So on or Before 990527.With Certificate of Svc.Served on 990520 ML20206R2411999-05-13013 May 1999 Transcript of 990513 Prehearing Conference in Chapel Hill,Nc Re Carolina Power & Light Co.Pp 1-176.Supporting Documentation Encl ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20206G4051999-05-0505 May 1999 Applicant Answer to Petitioner Board of Commissioners of Orange County Contentions.* Requests That Technical Contentions in Section III & Environ Contentions in Section IV Not Be Admitted.With Certificate of Svc ML20206F9491999-05-0505 May 1999 NRC Staff Response to Orange County Supplemental Petition to Intervene.* None of Petitioner Proposed Contentions Meet Commission Requirements for Admissible Contention.Petitioner 990212 Request Should Be Denied.With Certificate of Svc ML20206A0851999-04-22022 April 1999 Erratum to Orange County Supplemental Petition to Intervene.* Citation to Vermont Yankee LBP-87-17,should Be Amended to Read Vermont Yankee Nuclear Power Co (Vermont Yankee Nuclear Power Station).With Certificate of Svc ML20205Q8121999-04-21021 April 1999 Order (Granting Motion to Relocate Prehearing Conference).* Initial Prehearing Conference Will Be Held in District Court of Orange County Courtroom,Chapel Hill,Nc on 990513 as Requested.With Certificate of Svc.Served on 990421 ML20196K8771999-04-0505 April 1999 Orange County Supplemental Petition to Intervene.* Informs That Orange County Contentions Should Be Admitted for Litigation in Proceeding ML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20205E3101999-04-0101 April 1999 Memorandum & Order (Protective Order).* Grants 990326 Motion of Petitioner for Approval of Proposed Protective Order to Govern Use & Dissemination of Proprietary or Other Protected Matls.With Certificate of Svc.Served on 990203 ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc 1999-09-08
[Table view] Category:PLEADINGS
MONTHYEARML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20205A9201999-03-26026 March 1999 Motion for Approval of Protective Order.* Orange County,With Support of CP&L & Nrc,Requests Board Approval of Encl Protective Order.With Certificate of Svc ML20204E5341999-03-17017 March 1999 Orange County Second Motion for Extension of Time to File Proposed Protective Order.* Licensing Board Granted Motion to Extend Deadline for Filing Proposed Protective Order Until 990304.With Certificate of Svc ML20207L4041999-03-16016 March 1999 NRC Staff Answer to Orange County Motion to Relocate Prehearing Conference.* NRC Has No Objections to Relocating Prehearing Conference,Time or Place.With Certificate of Svc ML20204C9721999-03-15015 March 1999 Applicant Response to Bcoc Motion to Relocate Prehearing Conference.* Applicant Requests That Prehearing Conference Be Held in Hillsborough,Nc.Location Available to Hold Prehearing Conference on 990513.With Certificate of Svc ML20207K1391999-03-0909 March 1999 Orange County Motion to Relocate Prehearing Conference.* Requests Licensing Board Relocate Prehearing Conference Scheduled for 990511 to Site in Area of Shearon Harris Npp. with Certificate of Svc ML20127M4091992-10-0202 October 1992 CP&L Response to Appeal to NRC Commissioners of NRC Staff Denial of Nirs Petitions for Immediate Enforcement Action of 920721 & 0812.* Commission Should Affirm NRR Denial of Nirs Petitions.Certificate of Svc Encl ML20213A0091987-01-28028 January 1987 NRC Staff Response to Intervenor Application for Stay of ALAB-856.* Motion Should Be Denied Since Coalition for Alternatives to Shearon Harris Lacks Standing to File Motion & 10CFR2.788 Criteria Not Met.Certificate of Svc Encl ML20212R6431987-01-27027 January 1987 NRC Staff Motion for Extension of Time.* Motion for Extension Until 870128 to File Response to Intervenors Motion for Stay of ALAB-856.Certificate of Svc Encl ML20212R6861987-01-27027 January 1987 Licensees Answer to Conservation Council of North Carolina/ Eddleman Motion for Stay.* Motion Should Be Summarily Denied.Certificate of Svc Encl ML20209A7191987-01-27027 January 1987 NRC Staff Motion for Extension of Time.* One Day Extension of Time Until 870128 to File Response to Intervenors Motion for Stay of ALAB-856 Requested.Granted for ASLB on 870128.W/ Certificate of Svc ML20207N6051987-01-10010 January 1987 Conservation Council of North Carolina,Wells Eddleman,Pro Se & Coalition for Alternatives to Shearon Harris Motion to Stay Effectiveness of Licensing of Shearon Harris Nuclear Power Plant.* W/Certificate of Svc ML20207M0191987-01-0808 January 1987 Motion to Continue Commission decision-making Re Licensing of Shearon Harris Nuclear Power Plant.* Requests NRC Refrain from Issuing Full Power OL Until Criteria Assuring Safe Operation Met.Certificate of Svc Encl ML20214A5171986-11-17017 November 1986 Response Opposing State of Nc Atty General 861028 Motion Re Applicant Request for Exemption from Portion of 10CFR50, App E & Part IV.F.1.Certificate of Svc Encl ML20197C8511986-11-0303 November 1986 Response to Atty General of State of Nc 861028 Motion to Dismiss,As Moot,Util 860304 Request for Exemption from 10CFR50,App E Requirement for Full Participation Exercise 1 Yr Prior to Full Power License.W/Certificate of Svc ML20215M2281986-10-28028 October 1986 Motion for Inquiry Into Feasibility of Applicant 860304 Request for Exemption from Requirement That full-scale Emergency Preparedness Exercise Be Conducted within 1 Yr Prior to Issuance of Ol.Certificate of Svc Encl ML20215G7061986-10-17017 October 1986 Response Opposing W Eddleman & Coalition for Alternatives to Shearon Harris 861006 Brief Requesting Hearing on Util Request for Exemption from Performing full-scale Emergency Exercise,Per Commission 860912 Order.W/Certificate of Svc ML20215J6121986-10-17017 October 1986 W Eddlemen & Coalition for Alternatives to Shearon Harris Petition,Per 10CFR2.206 to Revoke,Suspend or Modify Cp. Certificate of Svc Encl ML20203N9191986-10-14014 October 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman 860731 Request for Hearing on Util Request for Exemption from Requirement to Conduct Full Participation Exercise.Certificate of Svc Encl ML20210V1571986-10-0606 October 1986 Answer in Opposition to Coalition for Alternatives to Shearon Harris,W Eddleman & Conservation Council of North Carolina 860915 Motion to Reopen Record.Related Info & Certificate of Svc Encl ML20210S9871986-10-0606 October 1986 Brief Opposing Applicant 860304 & 0710 Requests for Exemption from 10CFR50,App E Requirement to Conduct Full Participation Exercise of Emergency Mgt Plan within 1 Yr Prior to Operation.W/Certification of Svc ML20214S0831986-09-25025 September 1986 Applicant Answer Opposing 860915 Coalition for Alternatives to Shearon Harris (Cash) Motion to Reopen Record.Motion Opposed Since Cash Not Party in OL Proceeding.Certificate of Svc Encl ML20214R0531986-09-24024 September 1986 Response Opposing Eddleman/Coalition for Alternatives to Shearon Harris 860919 Request for Extension of Time to Respond to Commission 860912 Order.W/Certificate of Svc ML20214R3681986-09-23023 September 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman Request for 2-wk Extension to Respond to Commission 860912 Order Re Exemption from Requirements of 10CFR50,App E.W/Certificate of Svc ML20214Q9531986-09-19019 September 1986 Requests Extension of Time Until 2 Wks from 860929 Deadline to Respond to 860912 Order Requiring Analysis of 10CFR50.12 Specific Exemptions ML20210D9001986-09-15015 September 1986 Motion to Reopen Record,Per 10CFR2.734,asserting That Commission Unable to Determine Reasonableness of Assurance That Plant Can Operate W/O Endangering Public Health & Safety.Certificate of Svc & Insp Rept 50-400/85-48 Encl ML20203M0021986-08-28028 August 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman 860731 Joint Petition for Hearing on Exemption Request Re Full Participation Emergency Preparedness Exercise.W/Certificate of Svc ML18004A4681986-08-15015 August 1986 Response to Coalition for Alternatives to Shearon Harris 860702 Show Cause Petition Re Emergency Planning Requirements,Filed Per 10CFR2.206.Petition Should Be Denied Due to Lack of Basis for Action.Certificate of Svc Encl ML20205F3591986-08-15015 August 1986 Response to Coalition for Alternatives to Shearon Harris 860702 2.206 Petition to Show Cause Re Emergency Planning Requirements,P Miriello Allegations & Welding Insps.Show Cause Order Unwarranted.W/Certificate of Svc ML20205F4131986-08-14014 August 1986 Answer Opposing Intervenor 860730 Petition for Review of Aslab 860711 Memorandum & Order Denying Two Requests for Relief.Petition Lacks Important Procedural Issue.Certificate of Svc Encl ML20205F2251986-08-14014 August 1986 Answer Opposing Coalition for Alternatives to Shearon Harris & W Eddleman 860730 Petition for Commission Review Per 10CFR2.786.W/Certificate of Svc ML20203K1511986-07-30030 July 1986 Petition for Commission Review of Aslab 860711 Memorandum & Order Denying Coalition for Alternative to Shearon Harris 860609 Petition to Intervene.Certificate of Svc & Svc List Encl ML20212A6071986-07-25025 July 1986 Response to ASLAP 860708 Order Requiring Licensee to Update Re Emergency Plan.Chatham County Resolution Does Not Resolve Issues Re Adequacy of Plan.Resolution False. Certificate of Svc Encl ML20207J8281986-07-24024 July 1986 Response Opposing W Eddleman 860403 Request for Hearing on Util Request for Exemption from Emergency Preparedness Exercise Requirement.W/Certificate of Svc ML20211Q5221986-07-23023 July 1986 Answer Opposing Coalition for Alternatives to Shearon Harris 860721 Motion for 10-day Extension to File Brief Supporting 860721 Notice of Appeal & Request for Review of Aslab 860711 Memorandum & Order.W/Certificate of Svc ML20207E4231986-07-18018 July 1986 Response to Aslab 860708 Order to File Update to Re Chatham County,Nc Rescission of Prior Approval of Emergency Response Plan.Chatham County Endorsed Plan on 860707.W/Certificate of Svc ML20199L1671986-07-0808 July 1986 Suppl to 860624 Response to Conservation Council of North Carolina & Eddleman Request to Continue Stay Indefinitely.On 860707,Chatham County Adopted Resolution Which Endorses Emergency Plan.W/Certificate of Svc ML18019B0891986-07-0202 July 1986 Petition Requesting Institution of Proceedings Per 10CFR2.206,requiring Util to Respond to Show Cause Order Due to Failure to Meet Required Stds in Areas of Emergency Planning,Plant Safety,Security & Personnel Stress ML20206R8691986-06-30030 June 1986 Response Opposing Coalition for Alternatives to Shearon Harris (Cash) 860609 Petition for Leave to Intervene.Any Cash Participation Would Cause Delay in Proceedings.Petition Should Be Rejected as Untimely Filed ML20206P6641986-06-25025 June 1986 Response to Coalition for Alternatives to Shearon Harris & W Eddleman 860428 Motion for Stay of Immediate Effectiveness of Final ASLB Decision.Motion Should Be Denied.Certificate of Svc Encl ML20206J3641986-06-24024 June 1986 Response Opposing Conservation Council of North Carolina & W Eddleman 860609 Motion to Stay All Power Operations Per ASLB 860428 Final Decision.Motion Fails to Show Single Significant Safety Issue.W/Certificate of Svc ML20206J2051986-06-24024 June 1986 Response to Intervenors Conservative Council of North Carolina & W Eddleman Request to Continue Stay Indefinitely. Certificate of Svc & Svc List Encl ML20211D8641986-06-0909 June 1986 Requests to Continue Temporary Automatic Stay of ASLB Authorization of Full Power Operations Indefinitely.Low Power Operations Should Be Stayed Until NRC Completes Immediate Effectiveness Review & Encl Comments Resolved ML20199E4441986-06-0909 June 1986 Request to Indefinitely Continue Temporary Automatic Stay as to ASLB Authorization of Full Power Operations Until Commission Resolves Issue Raised in Encl Comments on Immediate Effectiveness Review ML20205T4001986-06-0909 June 1986 Appeal from Final Licensing Board Decision to Grant Ol.Board Erred in Determining That Widespread Drug Abuse Had No Effect on Const,In Accepting Applicant Nighttime Alert & Notification Plans & in Rendering Final Decision 1999-07-21
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o 00LKliED USNRC August 28, 1986 16 RE 29 P4 :28 UNITED STATES OF AMERICA NUCLEARREGULATORYCOMMISSIOqfFi 0C j ~!'
BRANCH BEFORE THE COMMISSION
)
CAROLINA POWER & LIGHT COMPANY )
and NORTH CAROLINA EASTERN ) Docket No. 50-400 OL MUNICIPAL POWER AGENCY )
)
(Shearon Harris Nuclear Power )
Plant) )
APPLICANTS' RESPONSE TO JOINT CASH /EDDLEMAN PETITION FOR HEARING ON EXEMPTION REQUEST I. Introduction A full participation emergency preparedness exercise was conducted for the Shearon Harris Nuclear Power Plant plume expo-sure pathway Emergency Planning Zone on May 17-18, 1985. The NRC inspection team reported no violations or deviations, and charac-terized the exercise as " fully successful."1/ Similarly, FEMA concluded that the exercise demonstrated that "the state and local emergency plans are adequate and capable of being imple-mented..."2/ The results of the axercise were litigated before 1/ NRC Inspection Report No. 50-400/85-20 (June 5, 1985).
2/ Memorandum, for E. Jordan (NRC) from R. Krimm (FEMA) (August 7, 1985) (transmitting FEMA report on exercise).
DR hO 5 86082s G K 05000400 PDR
F, the Atomic Safety and Licensing Board, which in March 1986 re-solved the contentions in favor of Carolina Power & Light Company
("CP&L" or, with North. Carolina Eastern Municipal Power Agency,
" Applicants"), finding no evidence of a fundamental flaw.3/
By letter of March 4, 1986, to the Director of the Office of Nuclear Reactor Regulation, Mr. Harold Denton, CP&L requested an exemption from that part of 10 C.F.R. Part 50, Appendix E,
$ IV.F.1 which requires that the full participation exercise be conducted within one year of issuance of the full power license and prior to operation above 5% of rated power. In a letter to Mr. Denton dated April 3, 1986 ("Eddleman Petition"), Mr. Wells Eddleman commented on the hearing requests and sought a heating on the issue. The NRC Staff forwarded Mr. Eddleman's request for a hearing to the Commission for its consideration.4/
Applicants and the NRC Staff responded to the Eddleman Peti-tion, both concluding that Mr. Eddleman is not entitled to a hearing on the exemption request.5/ The Eddleman Petition is 3/ " Order (Concerning Emergency Planning Contentions)" (March 19, 1986); LBP-86-11, 23 N.R.C. 294, 397-407 (1986).
4/ See Memorandum for S. Chilk, Through V. Stello, From E.
Christenbury (May 15, 1986); Memorandum for S. Chilk, From E.
Christenbury (July 17, 1986).
5/ See " Response By Carolina' Power & Light Company and North Carolina Eastern Municipal Power Agency To Wells Eddleman's Re-quest for Hearing on Emergency Preparedness Exercise Exemption Request" (April 22, 1986) (" Applicants' Response"); "NRC Staff Response To Wells Eddleman's Request For A Hearing On Applicants' Request For Exemption From the Requirement For an Emergency Pre-paredness Exercise" (July 24, 1986) (" Staff Response").
1 f 1 4
presently pending before the Commission.s/
By letter to the Commissioners dated July 31, 1986 (the
" Joint Petition"), Mr. Eddleman and the Coalition for Alterna- ;
tives to Shearon Harris (" CASH") jointly petition for a hearing on the exemption request.7/ Applicants herein respond to the Joint Petition, supplementing and incorporating by reference Applicants' Response to the Eddleman Petition.
For the reasons set forth below, Applicants agree with the Staff that there is no independent right to a formal adjudicatory hearing on an exemption request. See Staff Response at 3-5.
Applicants further concur in the Staff's view that the successful May 1985 full participation exercise should be considered the
" exercise of record," which serves as the basis for licensing ac-tion, with any subsequent exercise deemed confirmatory. Under this construction, the pending exemption request does not concern i
a requirement for initial licensing; thus, no hearing rights s/ The NRC Staff has taken a preliminary position that Appli-cants' exemption request should be granted. See Staff Response at 7 n.5.
7/ Ar. Eddleman, who is a member of CASH but not an attorney, signed the filing with the Commission twice -- once on his own behalf, and once for Mr. Steven Katz, whom Applicants believe also to be a member of CASH but not an attorney. While the Joint Petition is purportedly filed on behalf of a number of individ-uals in addition to CASH and Mr. Eddleman (i.e., Calvin Ragan et al.), under Commission regulations Messrs. Eddleman and Katz have no authority to represent the other individuals. See 10 C.E.R.
$ 2.713(1); Consolidated Edison ':o. of New York (Indian Point, Unit No. 2), LBP-82-25, 15 N.R.C. 715, 726 (1982).
T, '
attach to the exemption request.g/ See Staff Response at 6-8.
In addition, Applicants present an alternative basis for denial of the hearing requests. As discussed :iore fully below, even if construed as a late-filed contention in the operating license proceeding, the Joint Petition fails to raise an issue which would be cognizable in a hearing on Applicants' exemption re-quest. Accordingly, the Commission should deny the requests for a hearing on the exemption, resting its decision on both the rea-soning advanced by the Staff and Applicants' alternative set forth herein.
II. There Is No Independent Right To A Formal Hearing On An Exemption Request Like the Eddleman Petition, the Joint Petition asserts that section 189(a) of the Atomic Energy Act accords an independent right to a formal adjudicatory hearing on an exemption request.
That statute provides for a right to a hearing in any proceeding "for the granting, suspending, revoking, or amending of any license...." 42 U.L.C. $ 2239(a). Citing Sholly, Deukmejian, and Brooks,9/ Petitioners argue that an exemption is itself a g/ Nor would an opportunity for hearing be associated with any confirmatory exercise.
9/ Sholly v. Nuc' lear Regulatory Commission, 651 F.2d 780 (D.C.
Cir. 1980), vacated, 459 U.S. 1194 (1983); San Luis Obispo Moth-ers for Peace v. Nuclear Regulatory Commission, 751 F.2d 1287 (D.C. Circuit 1984), vacated in part and rehearing en banc (Continued Next Page)
T.
license or'a license amendment, and therefore must be subject to a formal hearing. There is no merit to this trgument.
Section 189(a) of the Atomic Energy Act is to be construed narrowly and not to confer hearing rights where they have not been expressly granted. See Three Mile Island Alert, Inc. v.
Nuclear Regulatory ' Commission, 771 F.2d 720, 728-30 (3d Cir.
1985), cert. den. sub nom. Aamodt v. Nuclear Regulatory i Commission, 106 S.Ct. 1460 (1986) (rejecting similar argument that conditions imposed by Commission in lifting order suspending TMI-1 operations effectively constituted license amendments, entitling petitioners to a formal 9 189(a) hearing). In passing on an exemption, the Commission engages in informal agency adju-dication. Duke Power Co. v. Nuclear Regulatory Commission, 770 F..d 2 386, 389 (4th Cir. 1985).10/ In such cases, the Commission is " authorized to proceed on the basis of an informal hearing in which it may consider written materials, including factual and (Continued) granted, 760 F.2d 1320 (D.C. Cir. 1985), on rehearing, 789 F.2d 26 (D.C. Cir. 1986) (which Petitioners refer to as Deukmejian);
Brooks v. Atomic Energy Commission, 476 F.2d 924 (D.C. Cir.
1973).
4 10/ The Commission regulation pursuant to which the exemption i request was filed does not provide an independent opportunity for l
hearing on such a request. See 10 C.F.R. E 50.12(a). Further, it has been longstanding Commission policy and practice that no mandatory hearing rights attach to the granting or denial of an exemption. The Commission's policy and practice is consistent with that of other federal agencies. See Staff Response at 4, incl. n.1.
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? O legal statements; without holding a formal hearing with traditi-ona) trial-type procedures." Id.11/ Accordingly, Petitioners' claim of an independent right to a formal adjudicatory hearing on the exemption request lacks any legal basis and must be rejected.
III. Petitioners' Concerns Fail To Meet The Standards For Consideration In The Operating License Proceeding The Commission need not limit the basis for its decision to the statutory argument advanced by Petitioners. Although both Mr. Eddleman and CASH expressly disavow any intent to contest the exemption request in the pending section 189(a) proceeding,12/
11/ Here, both Mr. Eddleman and CASH have filed comments --
including factual and legal arguments -- on the exemption re-quest. Presumably those comments will be considered in the dis-position of the request.
12/ See, e.g., " Memorandum and Order" (Appeal Board July 11, 1986) at 2 (rejecting CASH petition to intervene in OL proceed-ing, noting that CASH professes no intent to raise new conten-tions, but only to participate in appellate process); Eddleman Petition (asserting right to hearing "outside the licensing hear-ing procedures of the NRC"); Joint Petition (contending that in-stant hearing request "cannot be handled in that [OL] proceed-ing").
Like the Eddleman Petition, the Joint Petition criticizes Applicants for filing their exemption request with the NRC Staff rather than the Licensing Board. Joint Petition at 2. However, as discussed more fully at pages 3 to 4 of Applicants' Response to the Eddleman Petition, the function of passing on requests for exemptions from 10 C.F.R. Part 50 has been delegatd by the Com-mission to the Director of Nuclear Reactor Regulation, and not to adjudicatory boards. Southern California Edison Co. (San Onofre Nuclear Generating Station, Units 2 and 3), LBP-77-35, 5 N.R.C.
1290 (1977); see also 50 Fed. Reg. 50764 (Dec. 12, 1985). In an operating license hearing, a board passes only on issues put into (Continued Next Page)
their requests for a hearing could most charitably be construed as a petition for admission of a late-filed contention in the operating license proceeding. Even so, their requests fail to meet the requisite standards. Indeed, because Petitioners' re-quests do not raise an issue which would be cognizable in a hear-ing on the exemption request, the Commission need not reach ei-ther the criteria for reopening the record or the "five factors" test for admissibility of a late-filed contention -- both of which would be applicable here.13/
(Continued)
- contest. All other matters tc be addressed prior to issuance of the license are decided by the Commission and the Staff outside of the adjudicatory context. Louisiana Power & Light Co.
(Waterford Steam Electric Station, Unit 3), CLI-86-1, 23 N.R.C. 1, 7 n.5 (1986). Thus, Applicants' exemption request was properly lodged with the NRC Staff. See generally, Cleveland Electric Illuminating Co. (Perry Nuclear Power Plant, Units 1 and 2), LBP-85-33, 22 N.R.C. 442 (1985), aff'd, ALAB-841, 24 N.R.C. (July 25, 1986) (slip op. at 64-67).
In the' operating license proceeding, Mr. Eddleman has pro-posed hundreds of contentions, including untimely ones. Thus, he is well aware of the procedure for contesting issues in the case.
Mr. Eddleman decided not to attempt to place the substance of the exemption request before the Licensing Board as a proposed con-tention, even though the Licensing Board had not disposed of the ,
proceeding at the time the Eddleman Petition was filed with the Staff.
13/ See,-e.g., Louisiana Power & Light Co. (Waterford Steam Electric Station, Unit 3), CLI-86-1, 23 N.R.C. 1, 4-5 (1986);
Cleveland Electric Illuminating Co. (Perry Nuclear Power Plant, Units 1 and 2), ALAB-831, 23 N.R.C. 62, 64 (1986); 10 C.F.R.
, 9 2.714(a)(1)(i) - (v).
The Joint Petition simply fails to raise a contention which would be cognizable in a hearing on Applicants' request. The proper focus of any hearing on Applicants' request would be the substance of the exemption -- the timing of the full participa-tion exercise. According to the Commission, the purpose of the one year requirement is to assure that
- the licensee personnel who will be re-sponsible for the commercial operation of the facility will be present at the site, famil-iar with the plant and its environs, and trained to ca'rry out the emergency plan. *** In. addition, certain instrumen-tation to be relied on in emergencies may not be fully operational or calibrated. The safety of the plant would be better served by an exercise utilizing those licensee person-nel who would have to carry out emergency procedurec once the plant is licensed for commercial operation.
Union of Concerned Scientists, DPRM-83-1, 17 N.R.C. 719, 723-24 (1983). However, Petitioners do not appear to dispute that the May 1985 full participation exercise fulfilled the purpose of the one year requirement -- i.e., that "the operating and management staff of the plant -- who are central figures in an exercise --
[were) in place and trained for an emergency." 47 Fed. Reg.
30233 (July 13, 1982).
Fairly read, the Joint Petition asserts that a second full-participation exercise should be required prior co licensing "in light of the numerous deficiencies the public has found in the present emergency plans, and the concerns of participants in
b the exercise of 1985 that the exercise did not show the plan would work, that they were not clear on what to do, and did not know clearly what their responsibilities were, and were inade-quately trained." Joint Petition at 2. This contention has no nexus to Applicants' exemption request. Petitioners would have had the same complaint about the May 1985 exercise even if the plant had commenced full power operation within one year of the May 1985 exercise (obviating the need for the exemption). Ir. es-sence, Petitioners seek to relitigate the May 1985 full partici-pation exercise. And any alleged " deficiencies" in the Emergency Plan which were not related to the May 1985 exercise should have been timely raised before the Licensing Board. Such issues plainly are not cognizable in this procedural context. Accord-ingly, the hearing requests must be denied.
IV. Conclusion Contrary to Petitioners' assertions, there is no independent right to a formal adjudicatory hearing on an exemption request.
Further, as the Staff points out, the successful May 1985 full participation exercise should be considered the basis for licens-ing, with any subsequent exercise deemed confirmatory. Thus, the pending exemption request does not concern a requirement for ini-tial licensing, and no hearing rights attach. Alternatively, the Joint Petition could be construed as a petition to file a late contention on the exemption in the operating license proceeding.
3
.g.
e Even so, the Joint Petition fails to raise an issue which would be cognizable in a hearing on the exemption request.
For all of the foregoing reasons, Applicants respectfully request that the Commission act swiftly to adopt both the posi-tion of the NRC Staff and the alternative reasoning advanced by Applicants, denying the Joint Petition as well as the Eddleman Petition.14/
Respectfully submitted, s,- = , .
Thomas A. Baxter, P.C.
Delissa A. Ridgway SHAW, PITTMAN, POTTS & TROWBRIDGE 1800 M Street, N.W.
. Washington, D.C. 20036 (202) 822-1090 Richard E. Jones
, Dale E. Hollhr CAROLINA POWER & LIGHT COMPANY P.O. Box 1551 Raleigh, North Carolina 27602 (919) 836-8161 Counsel for Applicants Dated: august 28, 1986 14/ See Letter to Commissioners from E. Utley (CP&L), dated August 1, 1986 (requesting expeditious and definitive Commission disposition of request for hearing on exemption).
1
o a
UNITED STATES OF AMERICA DO K TED NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION OFFICE OF SEtnt. !AkV In the Matter of ) 00CKEi g jEtr/lCf.
)
CAROLINA POWER & LIGHT COMPANY )
and NORTH CAROLINA EASTERN ) Docket No. 50-400 OL MUNICIPAL POWER AGENCY )
)
(Shearon Harris Nuclear Power )
Plant) )
CERTIFICATE OF SERVICE I hereoy certify that copies of " Applicants' Response to Joint CASH /Eddleman Petition For Hearing on Exemption Request" were served this 28th day of August, 1986, by deposit in the U.S.
mail, first class, postage prepaid, to all those listed on the attached Service List.
Delissa A. ~$. h'_d&&
KidghafJ U a
- n. .- . . . , . . , , , --- , - ,, . - - , - _ - . - _ , , , _ - _ . , . _ . - - -
UNITED STATES OF AMERICA NUCLEAR REGULATORY CCMMISSION In the Matter of )
)
)
CAROLINA POWER & LIGHT COMPANY and NORTH CAROLINA EASTERN ) Docket No. 50-400 OL J- MUNICIPAL PO*4ER AGENCY )
)
(Shearon Harris Nuclear Power )
Plant) )
SERVICE LIST Chairman Lando W. Zech, Jr. Dr. Reginald L. Gotchy U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Washington, D.C. 20555 Appeal Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Commissioner Thomas M. Roberts Mr. Howard A. Wilber U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Washington, D.C. 20555 Appeal Board Commissioner James K. Asselstine U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, D.C. 20555 i
l Washington, D.C. 20555 James L. Kelley, Esquire i
! Commissioner Frederick M. Bernthal Atomic Safety and Licensing Board '
U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission 20555 Washington, D.C. 20555 i Washington, D.C.
- """ * # I Commissioner Kenneth Carr ^ Y "
U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission
- Washington, D.C. 20555 Washington, D.C. 20555 j Thomas S. Moore, Esquire Dr. James H. Carpenter
^ * # ' Y "" *'
A om Safety and Licensin9 U.S. Nuclear Regulatory Commission 8 "' *
- U.S. N c car Regulatory Commission Washington, D.C. 20555 l
l
Charles A. Barth, Esquire Dr. Richard D. Wilson Janica E. Moore, Esquire 729 Hunter Street Of fice of the General Counsel Apex, North Carolina 27502 U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Mr. Wells Eddleman 812 Yancey' Street Docketing and Service Section Durham, North Carolina 27701 office of the Secretary U.S. Nuclear Regulatory Commission Richard E. Jones, Esquire Washington, D.C. 20555 Vice President and Senior Counsel Carolina Power & Light Company Mr. Daniel F. Road, President P.O. Box 1551 CHANGE Raleigh, North Carolina 27602 P.O. Box 2151 Raleigh, North Carolina 27602 Dr. Linda W. Little Governor's Waste Management Board Bradley W. Jones, Esquire 513 Albemarle Building U.S. Nuclear Regulatory Commission 325 North Salisbury Street Region II Raleigh, North Caroline. 27611
, 101 Marrietta Street Atlanta, Georgia 30303 H. A. Cole, Jr., Esquire Special Deputy Attorney General
. Mr. Robert P. Gruber, '
200 New Bern Avenue Executive Director Raleigh, North Carolina 27601 Public Staff - NCUC P.O. Box 29520 Joseph Flynn, Esquire
> Raleigh, North Carolina 27262 Federal Emergency Management Agenc l 500 C Street, S.W.,
John D. Runkle, Esquire Washington, D.C. 20740 Conservation Council of i North Carolina 307 Granville Road Chapel Hill, North Carolina 27514 M. Travis Payne, Esquire l
Edelstein and Payne P.O. Box 12607 Raleigh, North Carolina 27605 Coalition for Alternatives to Shearon Harris (CASH) 237 McCauley Street Chapel Hill, North Carolina 27514 , l I
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