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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20212J9991999-10-0101 October 1999 Responds to Recent Ltr to President Clinton,H Clinton, Chairman Jackson &/Or Wd Travers Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performance of Plant to Ensure That Public Health & Safety Adequately Protected ML20212L1831999-10-0101 October 1999 Responds to Recent Ltr to Wd Travers Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Performance of Millstone to Ensure Adequate Protection to Public Health ML20212L2081999-10-0101 October 1999 Responds to Recent Ltrs to President Wj Clinton,Chairman Jackson & Commissioners & Wd Travers,Expressing Concerns Re Millstone NPPs & Continued Lack of Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance ML20212L2171999-10-0101 October 1999 Responds to Recent Ltr to President Wj Clinton,Chairman Jackson & Commissioners,Wd Travers & Ferc,Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island ML20212L1971999-10-0101 October 1999 Responds to Recent Ltr to Chairman Jackson & Commissioners Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance to Ensure Public Health & Safety ML20212K1241999-10-0101 October 1999 Responds to Recent Ltrs to Chairman Jackson,Commissioners & Wd Travers,Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performace of Millstone to Ensure That Public Health & Safety,Adequately Protected ML20112E8911996-05-24024 May 1996 FOIA Request to Inspect & Copy Original OL Issued by Aec/Nrc for Util & EPP Issued as App B to Plant OL SNRC-2192, Forwards Both Copies,Signed by Util President Cv Giacomazzo, of Amend 7 to Indemnity Agreement B-87.Util Returning Copies Because Effective Date Left Blank1995-05-15015 May 1995 Forwards Both Copies,Signed by Util President Cv Giacomazzo, of Amend 7 to Indemnity Agreement B-87.Util Returning Copies Because Effective Date Left Blank ML20082B9131995-03-13013 March 1995 Submits Corrected Page for Insertion Into Final Rept Re Confirmatory Survey of RB & Phase 4 Systems at Plant ML20081A9321995-03-0707 March 1995 Forwards Final Rept Orise 95/B-81, Confirmatory Survey of Reactor Bldg & Phase 4 Sys Shoreham Nuclear Power Station Brookhaven,Ny ML20081A6531995-03-0707 March 1995 Forwards Final Rept Orise 95/B-80, Confirmatory Survey of Radwaste Bldg,Suppression Pool,Phase 2 Phase 3 Sys,Shoreham Nuclear Power Station,Brookhaven,Ny ML20081A6841995-02-21021 February 1995 Forwards Final Rept Confirmatory Survey of Radwaste Bldg, Suppression Pool,Phase 2 & Phase 3 Sys,Shoreham Nuclear Power Station,Brookhaven,Ny ML20081B5801995-02-21021 February 1995 Forwards Final Rept Confirmatory Survey of Reactor Bldg & Phase 4 Sys Shoreham Nuclear Power Station Brookhaven,Ny ML20081A7001995-01-30030 January 1995 Forwards Rev 1 to Draft Rept Confirmatory Survey of Radwaste Bldg,Suppression Pool,Phase 2 & Phase 3 Sys, Shoreham Nuclear Power Station,Brookhaven,Ny ML20081A7111995-01-30030 January 1995 Forwards Rev 1 to Draft Rept Confirmatory Survey of Reactor Bldg & Phase 4 Sys,Shoreham Nuclear Power Station, Brookhaven,Ny SNRC-2189, Forwards Shoreham Nuclear Power Station Radiological Environ Monitoring Program,Annual Radiological Environ Operating Rept, Jan-June 19941995-01-20020 January 1995 Forwards Shoreham Nuclear Power Station Radiological Environ Monitoring Program,Annual Radiological Environ Operating Rept, Jan-June 1994 SNRC-2188, Responds to NRC Request for Addl Info Re Certain Elevated Levels Found During Phase 4 Confirmatory Survey1995-01-20020 January 1995 Responds to NRC Request for Addl Info Re Certain Elevated Levels Found During Phase 4 Confirmatory Survey SNRC-2187, Forwards Snps Annual Man-Rem Rept, Including Individuals for Whom Personnel Monitoring Provided During CY94,per 10CFR20.407(a) & (B).Rept Also Includes Individuals Identified in 10CFR20.202(a),who Require Monioring1995-01-11011 January 1995 Forwards Snps Annual Man-Rem Rept, Including Individuals for Whom Personnel Monitoring Provided During CY94,per 10CFR20.407(a) & (B).Rept Also Includes Individuals Identified in 10CFR20.202(a),who Require Monioring SNRC-2182, Forwards Final Annual Radioactive Effluent Release Rept for Cy 1994, Including Last Revised Copies of ODCM & Pcp.Rept Prepared for Closeout Purposes as Part of Completion of Plant Decommissioning1994-11-0101 November 1994 Forwards Final Annual Radioactive Effluent Release Rept for Cy 1994, Including Last Revised Copies of ODCM & Pcp.Rept Prepared for Closeout Purposes as Part of Completion of Plant Decommissioning ML20077L3331994-10-25025 October 1994 Forwards Revised Proposed Confirmatory Survey Plan for Reactor Bldg Shoreham Nuclear Power Station Brookhaven,Ny ML20076K3881994-10-20020 October 1994 Forwards Proposed Confirmatory Survey Plan for Reactor Bldg, Shoreham Nuclear Power Station,Brookhaven,Ny,For Review & Comment ML20077M8351994-10-20020 October 1994 Forwards Draft Rept, Confirmatory Survey of Radwaste Bldg, Suppression Pool & Phase 2 Systems,Shoreham Nuclear Power Station,Brookhaven,Ny SNRC-2184, Forwards Shoreham Decommissioning Project Termination Survey Final Rept Phase 4. Portions Withheld1994-10-12012 October 1994 Forwards Shoreham Decommissioning Project Termination Survey Final Rept Phase 4. Portions Withheld SNRC-2185, Summarizes Results from Revised Exposure Pathway Analysis Using Corrected Dcf for External Exposure for Cs-137.Rev 1 to Analysis of Bulk Matl Reconcentration Potential & Possible Exposure Pathways Encl1994-10-0404 October 1994 Summarizes Results from Revised Exposure Pathway Analysis Using Corrected Dcf for External Exposure for Cs-137.Rev 1 to Analysis of Bulk Matl Reconcentration Potential & Possible Exposure Pathways Encl ML20076F9251994-09-26026 September 1994 Forwards Final Rept Orise 94/I-80, Confirmatory Survey of Turbine Bldg,Site Grounds & Site Exteriors Shoreham Nuclear Power Station Brookhaven,Ny SNRC-2183, Forwards Amend 6 to Indemnity Agreement B-871994-09-23023 September 1994 Forwards Amend 6 to Indemnity Agreement B-87 SNRC-2181, Notifies of Equipment Changes to Shoreham Facility Which Have Occurred Subsequent to Rept on Phase I Final Survey Status,Provided in Util .Equipment Changes Described in Encl Table 11994-09-14014 September 1994 Notifies of Equipment Changes to Shoreham Facility Which Have Occurred Subsequent to Rept on Phase I Final Survey Status,Provided in Util .Equipment Changes Described in Encl Table 1 SNRC-2180, Forwards 940829 Memo Entitled, Technical Evaluation of Dusting from Concrete Blocks, Addressing Issue Discussed in Insp Rept 50-332/94-021994-09-0101 September 1994 Forwards 940829 Memo Entitled, Technical Evaluation of Dusting from Concrete Blocks, Addressing Issue Discussed in Insp Rept 50-332/94-02 SNRC-2179, Proposes That Release Criterion for Soil Be Applied to Certain Other Bulk Matls Which Will Remain at Plant Upon Completion of Decommissioning.Analysis of Bulk Matl Reconcentration Potential & Possible Exposure Pathways Encl1994-09-0101 September 1994 Proposes That Release Criterion for Soil Be Applied to Certain Other Bulk Matls Which Will Remain at Plant Upon Completion of Decommissioning.Analysis of Bulk Matl Reconcentration Potential & Possible Exposure Pathways Encl SNRC-2178, Forwards Proprietary Response to NRC Concerns Re Survey Instruments Used for Termination Survey.Extensive Discussion Provided in Interest of Rapidly Bringing Outstanding Concerns to Close.Response Withheld (Ref 10CFR2.790(a)(4))1994-08-17017 August 1994 Forwards Proprietary Response to NRC Concerns Re Survey Instruments Used for Termination Survey.Extensive Discussion Provided in Interest of Rapidly Bringing Outstanding Concerns to Close.Response Withheld (Ref 10CFR2.790(a)(4)) ML20072P1591994-08-17017 August 1994 Forwards Revised, Confirmatory Survey Plan for Radwaste Bldg & Suppression Pool for Plant SNRC-2176, Informs of near-term Completion of Decommissioning of Shoreham Nuclear Power Station & Hereby Respectfully Requests Support in Achieving Timely Termination of Facility possession-only License NPF-821994-08-0404 August 1994 Informs of near-term Completion of Decommissioning of Shoreham Nuclear Power Station & Hereby Respectfully Requests Support in Achieving Timely Termination of Facility possession-only License NPF-82 SNRC-2177, Forwards Rev 3 to Shoreham Decommissioning Project Termination Survey Plan. Portions of Rept Withheld1994-08-0404 August 1994 Forwards Rev 3 to Shoreham Decommissioning Project Termination Survey Plan. Portions of Rept Withheld ML20071L8741994-07-29029 July 1994 Forwards Confirmatory Survey Plan for Radwaste Building & Suppression Pool for Review & Comment SNRC-2175, Provides Notification of Survey Location Changes to Shoreham Facility Which Have Occurred Subsequent to Repts on Phases 1,2 & 3 Final Survey Status Provided in Refs 1,2 & 3 Respectively1994-07-18018 July 1994 Provides Notification of Survey Location Changes to Shoreham Facility Which Have Occurred Subsequent to Repts on Phases 1,2 & 3 Final Survey Status Provided in Refs 1,2 & 3 Respectively SNRC-2173, Forwards Termination Survey Final Rept Phase 3. Proprietary Pages to Rept Also Encl.Proprietary Pages Withheld (Ref 10CFR2.790)1994-06-14014 June 1994 Forwards Termination Survey Final Rept Phase 3. Proprietary Pages to Rept Also Encl.Proprietary Pages Withheld (Ref 10CFR2.790) SNRC-2172, Certifies That All SNM as Irradiated Fuel Permanently Removed from Site & That Decommissioning/Decontamination Work on Biological Shield Wall Complete,In Accordance W/Nrc Approving Amend 11 to Pol NPF-821994-06-0707 June 1994 Certifies That All SNM as Irradiated Fuel Permanently Removed from Site & That Decommissioning/Decontamination Work on Biological Shield Wall Complete,In Accordance W/Nrc Approving Amend 11 to Pol NPF-82 SNRC-2171, Submits Resolution of Items Identified by NRC Region I Project Inspector,Pertaining to Planned Final Draindown & Discharge of Spent Fuel Storage Pool,Following Complete Removal of Irradiated Fuel1994-06-0202 June 1994 Submits Resolution of Items Identified by NRC Region I Project Inspector,Pertaining to Planned Final Draindown & Discharge of Spent Fuel Storage Pool,Following Complete Removal of Irradiated Fuel SNRC-2170, Requests Approval of Proposed Change to Shoreham Decommissioning Plan for Addl Remedial Decontamination of Shoreham Spent Fuel Storage Pool Beyond That Originally Specified in Decommissioning Plan1994-05-20020 May 1994 Requests Approval of Proposed Change to Shoreham Decommissioning Plan for Addl Remedial Decontamination of Shoreham Spent Fuel Storage Pool Beyond That Originally Specified in Decommissioning Plan SNRC-2168, Notification to NRC of Transfer of Device Containing 30 Uci Cs-137 Source.Device Transferred to JW Merkel,Terra Analytics,Inc1994-05-13013 May 1994 Notification to NRC of Transfer of Device Containing 30 Uci Cs-137 Source.Device Transferred to JW Merkel,Terra Analytics,Inc SNRC-2169, Advises of Listed Clarification to Util Re Resignation of Jc Brons from Position of Executive Vice President of Shoreham Decommissioning Project1994-05-11011 May 1994 Advises of Listed Clarification to Util Re Resignation of Jc Brons from Position of Executive Vice President of Shoreham Decommissioning Project ML20029E1731994-05-11011 May 1994 Informs That Based on Recent Discussions Between Officials, Licensee Decided to Retain Organizational Position at Least Until Fuel Removed from Site ML20029D1991994-04-29029 April 1994 Forwards Shoreham Nuclear Power Station Radiological Environ Monitoring Program Annual Radiological Environ Operating Rept Jan-Dec 1993. ML20029D2571994-04-28028 April 1994 Advises That Jc Brons Resigned to Pursue Employment W/ Another Util Co,Effective 940429 ML20029C7111994-04-22022 April 1994 Submits Technical Info on Biological Shield Wall Blocks to Be Surveyed SNRC-2163, Provides Notification of Equipment Changes to Facility Which Have Occurred Subsequent to Report on Phase I Final Survey Status Provided in Util1994-04-21021 April 1994 Provides Notification of Equipment Changes to Facility Which Have Occurred Subsequent to Report on Phase I Final Survey Status Provided in Util ML20065M3701994-04-20020 April 1994 Responds to NRC Verbal Request for Info Re Estimated Cost for Decommissioning SNRC-2161, Forwards 1994 Internal Cash Flow Projection for Shoreham Nuclear Power Station1994-03-30030 March 1994 Forwards 1994 Internal Cash Flow Projection for Shoreham Nuclear Power Station SNRC-2160, Forwards Financial Info Required by 10CFR50.71(b)1994-03-30030 March 1994 Forwards Financial Info Required by 10CFR50.71(b) SNRC-2148, Forwards Info Supporting Licensee Proposed Amend,Submitted on 941104.Specifically,info Supports Estimates & Conclusions Re Small Quantity of Remaining Radioactive Matl & Low Radiological Significance of Potential Accident Releases1994-03-0808 March 1994 Forwards Info Supporting Licensee Proposed Amend,Submitted on 941104.Specifically,info Supports Estimates & Conclusions Re Small Quantity of Remaining Radioactive Matl & Low Radiological Significance of Potential Accident Releases 1999-10-01
[Table view] Category:EXTERNAL CORRESPONDENCE
MONTHYEARML20125E6021992-12-0808 December 1992 Comments of Dod Opposing Transnuclear Application to Export 560 Irradiated Nuclear Power Fuel Assemblies from Shoreham Plant to France ML20081L1921991-06-21021 June 1991 Advises That Federal Consistency Form & Certification Re Facility Decommissioning Complies W/State of Ny Coastal Mgt Program ML20246A1161989-05-31031 May 1989 Forwards Annual Ltr of Certification for Facility,Addressing Compliance by Local Emergency Response Organization W/ Periodic Requirements as Prescribed in NUREG-0654/FEMA-REP-1 for Preceding Yr.Related Correspondence ML20247K4901989-03-0202 March 1989 FOIA Request for Records Re Emergency Plan Dtd Sept 1988 or After ML20235S0331989-01-12012 January 1989 FOIA Request for Records on Listed Entities,Projects or Issues Re Plant ML20196F6511988-11-25025 November 1988 Forwards Sense of Legislature Urging Rejection of Lilco Request to Operate Shoreham Nuclear Power Plant at 25% Power,Approved at 881122 Meeting ML20205R3801988-11-0202 November 1988 Production of Lilco Exercise Documents.* Forwards Addl player-generated Documents from June 1988 Exercise of Lilco Offsite Emergency Response Plan.W/O Encl.Related Related Correspondence ML20155H3481988-10-13013 October 1988 Provides List of Addl Matl Being Sent Under Separate Cover Re 880607-09 Exercise of Lilco Offsite Emergency Response Plan for Facility.Related Correspondence ML20155H3521988-10-12012 October 1988 Requests Remittance of Payment for Documents Duplicated for Suffolk County.Certificate of Svc Encl.Related Correspondence ML20151G7231988-07-25025 July 1988 Forwards Seven Oversized Maps Used by Participants in 880607-09 FEMA-graded Exercise of Util Offsite Emergency Response Plan.W/O Maps.Related Correspondence ML20151G5861988-07-20020 July 1988 Forwards Rev 10 to Lilco Plan Recently Sent to State Personnel Other than Counsel.W/O Encl.Certificate of Svc Encl.Related Correspondence ML20151G6491988-07-20020 July 1988 Responds to to I Freilicher Re Emergency Plan Custody.When Plant Licensing Litigation Completed & Commercial Operation Commences,Emergency Plan Will Be Made Available.Related Correspondence ML20151A8101988-07-13013 July 1988 Production of Lilco Exercise Documents.* Forwards List of Discontinuities in Numbering of Lilco player-generated Exercise Documents.Related Correspondence ML20150D5741988-07-0606 July 1988 Forwards Suffolk County Documents in Response to Lilco Second Set of Interrogatories & Document Requests Re Contentions 1-2,4-8 & 10.W/o Encls.Related Correspondence ML20150D4591988-07-0606 July 1988 Forwards Suffolk County Answers to Lilco Third Set of Interrogatories & Requests for Production of Documents Re Contentions 1-2,4-8 & 10.Related Correspondence ML20195D2311988-06-15015 June 1988 Forwards Verification of Jd Papile Re State of Ny 880603 Response to Lilco Second Set of Interrogatories Re Contentions 1-2,4-8 & 10.Certificate of Svc Encl.Related Correspondence ML20155C0201988-06-0707 June 1988 Realism/Best Efforts Discovery.* Forwards Lilco Third Set of Interrogatories & Requests for Production of Documents Re Contentions 1-2,4-8 & 10 to Suffolk County,State of Ny & Town of Southampton.Related Correspondence ML20155C3831988-06-0606 June 1988 Forwards Rev 10 of Lilco Plan Sent to State Personnel Other than Counsel.W/O Stated Encl.Certificate of Svc Encl.Related Correspondence ML20155C5481988-06-0303 June 1988 Forwards State of Ny Responses to Lilco Realism Interrogatories.J Papile,J Baranski & L Czech Will Be Available for Depositions on 880617 & Axelrod on 880707 in Albany,Ny.Related Correspondence ML20153C1491988-05-25025 May 1988 FOIA Request for Documents Re Emergency Response Plan for Facility ML20197E0041988-05-24024 May 1988 Forwards Verifications of Jd Papile & Jj Strojnowski Pertaining to Govt Answers & Addl Objections to Lilco Second Set of Interrogatories Re Contentions 1-2,4-8 & 10, Dtd 880422.Certificate of Svc Encl.Related Correspondence ML20154B6481988-05-0606 May 1988 Forwards Plant Radiological Emergency Communication Sys Telephones & Speakers,Per Officials of State of Ny Knowledge.W/O Stated Encls.W/Certificate of Svc.Related Correspondence ML20150D0391988-03-15015 March 1988 Forwards Verification Forms Omitted from Lilco Two 880311 Filings.Sworn Statements Re Suffolk County & State of Ny Answers to Lilco First Set of Interrogatories Filed 880309 & 11,respectively,requested.Related Correspondence ML20148Q9861988-01-25025 January 1988 Forwards Documents Responsive to Suffolk County First Set of Interrogatories Re Buses & Recruitment of Lero Emergency Workers as School Bus Drivers.Certificate of Svc Encl ML20196C3211987-12-24024 December 1987 FOIA Request for Documents Re Federal Radiological Preparedness Coordinating Committee & Fema/Nrc Meetings Held Since 860901 & Aslab 871207 Decision in Shoreham Case (LBP-87-32) ML20236R8171987-11-0202 November 1987 Informs That Public Authorities in State of Ny Have Not Undertaken Planning Process Re Emergency Evacuation & Relief Efforts in Which Red Cross Can Participate.Removal of Ref to Red Cross from Util Plan Requested.Served on 871120 ML20236E0511987-10-21021 October 1987 Informs That Encl 870619 Resolution Passed by Comsewogue Board of Educ Re Facility as Well as Other Resolutions Will Be Forwarded to Clerk of Legislature,Nrc & Governor of State of Ny.Served on 871026 ML20235J0571987-07-0606 July 1987 Confirms Agreement That DE Donaldson Will Be Available for cross-examination on 870708,per 870706 Telcon.Related Correspondence ML20216J8551987-06-24024 June 1987 Forwards Certified Resolution 685-87 Adopted by Town Board on 870623 Re Use of Util Property at Hicksville,Ny as Reception Ctr in Event of Emergency at Facility.Served on 870630 ML20211A0731987-02-12012 February 1987 Forwards Notices of Deposition for Five Witnesses Identified in Response to First Set of Interrogatories.Request for Site Visit at Three Reception Ctrs Also Encl.Related Correspondence ML20207R2971987-02-0606 February 1987 Comments on Proposed Rule Change to Allow Opening of Facility Despite State & Local Opposition.Rule Supported ML20210E4821987-01-28028 January 1987 Advises That Lilco Plan for Expanded Use of Hicksville Facility as Reception Ctr,Described in Rev 7 to Emergency Plan,Was Never Discussed W/Town Officials.Any Attempt to Use Facility Would Violate Local Zoning Laws.Served on 870209 ML20207E4631986-12-23023 December 1986 Forwards Subpoenas Served on 861223 to Bernacki,Giardina, Fish & Malina.Notices of Deposition & Affidavit Indicating Proof of Svc Also Encl.Related Correspondence ML20215D4971986-12-10010 December 1986 Submits List of Documents Indexed in W Gasper to P Mcintire in Initial Response to First Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20215B2171986-12-0909 December 1986 Forwards from D Mcloughlin & Documents in Response to 861010 Document Discovery Request Re Facility Licensing Issues.Only Util Documents & Litigation Case Files Already Indexed Not Released.Related Correspondence ML20214S9491986-12-0303 December 1986 Suppls Response to Util First Set of Interrogatories & Request for Production of Documents to Suffolk County,State of Ny & Town of Southampton.Fp Petrone May Testify in Support of Contentions 15 & 16.Related Correspondence ML20211L9091986-12-0303 December 1986 Ack Receipt of Notice of Deposition of Petrone.Advises That, by Accepting Svc,Author Has Not Agreed to Conduct Deposition at Place,Date or Time Unilaterally Chosen.Related Correspondence ML20211L6041986-12-0202 December 1986 Forwards Suffolk County,State of Ny & Town of Southampton Response to Util First Set of Interrogatories & Requests for Production of Documents,Filed on 861114.Related Correspondence ML20214Q6761986-11-29029 November 1986 Forwards Second Half of Suffolk County,State of Ny & Town of Southampton 861129 Response to Util Second Set of Interrogatories & Requests for Production of Documents.First Half of Response Filed on 861126.Related Correspondence ML20214J4711986-11-26026 November 1986 Identifies Potential Expert Witnesses for Listed Contentions as Suppl to Suffolk County Response to Lilco First Set of Interrogatories & Requests for Production of Documents Dtd 861029.Related Correspondence ML20214P4401986-11-24024 November 1986 Forwards Miller Place Union Free School District 860701 & 830901 Resolutions Denying Existence of Effective Emergency Plan & Opposing Licensing of Plant ML20214G6321986-11-21021 November 1986 Forwards Verification Executed by Fr Jones to Be Substituted for Unsigned Verification Filed w/861114 Response to Util 861029 First Set of Interrogatories & Request for Production of Documents.Related Correspondence ML20214Q5961986-11-18018 November 1986 Forwards Verification for Response to Util First Set of Interrogatories & Request for Production of Documents.W/ Certificate of Svc.Related Correspondence ML20214C6881986-11-17017 November 1986 Notifies That FEMA Producing Documents in Response to .Need to Depose Members of Rac Under Active Consideration ML20215E6961986-11-15015 November 1986 Forwards Corrected Page 39 to Suffolk County 861114 Response to Util First Set of Interrogatories & Requests for Production of Documents.Related Correspondence ML20214B2541986-11-13013 November 1986 Confirms Discovery Issues Pertinent to Emergency Procedures Exercise Proceeding.Related Correspondence ML20211K3141986-11-12012 November 1986 Forwards Info Re Agreement Reached on Depositions of Two FEMA Employees,Per 861112 Discussion.Response to 861010 Document Production Request Will Be Produced on 861117. Certificate of Svc Encl.Related Correspondence ML20213F5411986-11-10010 November 1986 Advises That FEMA Unable to Produce non-FEMA Witnesses Until Representation Agreements Worked Out W/Respective Organizations.Agreement W/Anl Encl.Formal Response to 861110 Request Will Be Provided on 861112,per NRC Rules ML20213F4371986-11-0707 November 1986 Responds to Util .State of Ny Supreme Court Decision Not Stayed or Reversed & Binding.Related Correspondence ML20213E7751986-11-0606 November 1986 Discusses H Brown Re 861006 Instructions to FEMA Reviewers of Revs 7 & 8 to Offsite Emergency Plan.Purpose of Review to Assess Effectiveness of Measures Undertaken by Util to Remedy Technical Problems.Related Correspondence 1992-12-08
[Table view] Category:EXTERNAL LETTERS ROUTED TO NRC
MONTHYEARML20246A1161989-05-31031 May 1989 Forwards Annual Ltr of Certification for Facility,Addressing Compliance by Local Emergency Response Organization W/ Periodic Requirements as Prescribed in NUREG-0654/FEMA-REP-1 for Preceding Yr.Related Correspondence ML20247K4901989-03-0202 March 1989 FOIA Request for Records Re Emergency Plan Dtd Sept 1988 or After ML20235S0331989-01-12012 January 1989 FOIA Request for Records on Listed Entities,Projects or Issues Re Plant ML20196F6511988-11-25025 November 1988 Forwards Sense of Legislature Urging Rejection of Lilco Request to Operate Shoreham Nuclear Power Plant at 25% Power,Approved at 881122 Meeting ML20205R3801988-11-0202 November 1988 Production of Lilco Exercise Documents.* Forwards Addl player-generated Documents from June 1988 Exercise of Lilco Offsite Emergency Response Plan.W/O Encl.Related Related Correspondence ML20155H3481988-10-13013 October 1988 Provides List of Addl Matl Being Sent Under Separate Cover Re 880607-09 Exercise of Lilco Offsite Emergency Response Plan for Facility.Related Correspondence ML20155H3521988-10-12012 October 1988 Requests Remittance of Payment for Documents Duplicated for Suffolk County.Certificate of Svc Encl.Related Correspondence ML20151G7231988-07-25025 July 1988 Forwards Seven Oversized Maps Used by Participants in 880607-09 FEMA-graded Exercise of Util Offsite Emergency Response Plan.W/O Maps.Related Correspondence ML20151G5861988-07-20020 July 1988 Forwards Rev 10 to Lilco Plan Recently Sent to State Personnel Other than Counsel.W/O Encl.Certificate of Svc Encl.Related Correspondence ML20151G6491988-07-20020 July 1988 Responds to to I Freilicher Re Emergency Plan Custody.When Plant Licensing Litigation Completed & Commercial Operation Commences,Emergency Plan Will Be Made Available.Related Correspondence ML20151A8101988-07-13013 July 1988 Production of Lilco Exercise Documents.* Forwards List of Discontinuities in Numbering of Lilco player-generated Exercise Documents.Related Correspondence ML20150D5741988-07-0606 July 1988 Forwards Suffolk County Documents in Response to Lilco Second Set of Interrogatories & Document Requests Re Contentions 1-2,4-8 & 10.W/o Encls.Related Correspondence ML20150D4591988-07-0606 July 1988 Forwards Suffolk County Answers to Lilco Third Set of Interrogatories & Requests for Production of Documents Re Contentions 1-2,4-8 & 10.Related Correspondence ML20195D2311988-06-15015 June 1988 Forwards Verification of Jd Papile Re State of Ny 880603 Response to Lilco Second Set of Interrogatories Re Contentions 1-2,4-8 & 10.Certificate of Svc Encl.Related Correspondence ML20155C0201988-06-0707 June 1988 Realism/Best Efforts Discovery.* Forwards Lilco Third Set of Interrogatories & Requests for Production of Documents Re Contentions 1-2,4-8 & 10 to Suffolk County,State of Ny & Town of Southampton.Related Correspondence ML20155C3831988-06-0606 June 1988 Forwards Rev 10 of Lilco Plan Sent to State Personnel Other than Counsel.W/O Stated Encl.Certificate of Svc Encl.Related Correspondence ML20155C5481988-06-0303 June 1988 Forwards State of Ny Responses to Lilco Realism Interrogatories.J Papile,J Baranski & L Czech Will Be Available for Depositions on 880617 & Axelrod on 880707 in Albany,Ny.Related Correspondence ML20153C1491988-05-25025 May 1988 FOIA Request for Documents Re Emergency Response Plan for Facility ML20197E0041988-05-24024 May 1988 Forwards Verifications of Jd Papile & Jj Strojnowski Pertaining to Govt Answers & Addl Objections to Lilco Second Set of Interrogatories Re Contentions 1-2,4-8 & 10, Dtd 880422.Certificate of Svc Encl.Related Correspondence ML20154B6481988-05-0606 May 1988 Forwards Plant Radiological Emergency Communication Sys Telephones & Speakers,Per Officials of State of Ny Knowledge.W/O Stated Encls.W/Certificate of Svc.Related Correspondence ML20150D0391988-03-15015 March 1988 Forwards Verification Forms Omitted from Lilco Two 880311 Filings.Sworn Statements Re Suffolk County & State of Ny Answers to Lilco First Set of Interrogatories Filed 880309 & 11,respectively,requested.Related Correspondence ML20148Q9861988-01-25025 January 1988 Forwards Documents Responsive to Suffolk County First Set of Interrogatories Re Buses & Recruitment of Lero Emergency Workers as School Bus Drivers.Certificate of Svc Encl ML20196C3211987-12-24024 December 1987 FOIA Request for Documents Re Federal Radiological Preparedness Coordinating Committee & Fema/Nrc Meetings Held Since 860901 & Aslab 871207 Decision in Shoreham Case (LBP-87-32) ML20236R8171987-11-0202 November 1987 Informs That Public Authorities in State of Ny Have Not Undertaken Planning Process Re Emergency Evacuation & Relief Efforts in Which Red Cross Can Participate.Removal of Ref to Red Cross from Util Plan Requested.Served on 871120 ML20236E0511987-10-21021 October 1987 Informs That Encl 870619 Resolution Passed by Comsewogue Board of Educ Re Facility as Well as Other Resolutions Will Be Forwarded to Clerk of Legislature,Nrc & Governor of State of Ny.Served on 871026 ML20235J0571987-07-0606 July 1987 Confirms Agreement That DE Donaldson Will Be Available for cross-examination on 870708,per 870706 Telcon.Related Correspondence ML20216J8551987-06-24024 June 1987 Forwards Certified Resolution 685-87 Adopted by Town Board on 870623 Re Use of Util Property at Hicksville,Ny as Reception Ctr in Event of Emergency at Facility.Served on 870630 ML20211A0731987-02-12012 February 1987 Forwards Notices of Deposition for Five Witnesses Identified in Response to First Set of Interrogatories.Request for Site Visit at Three Reception Ctrs Also Encl.Related Correspondence ML20207R2971987-02-0606 February 1987 Comments on Proposed Rule Change to Allow Opening of Facility Despite State & Local Opposition.Rule Supported ML20210E4821987-01-28028 January 1987 Advises That Lilco Plan for Expanded Use of Hicksville Facility as Reception Ctr,Described in Rev 7 to Emergency Plan,Was Never Discussed W/Town Officials.Any Attempt to Use Facility Would Violate Local Zoning Laws.Served on 870209 ML20207E4631986-12-23023 December 1986 Forwards Subpoenas Served on 861223 to Bernacki,Giardina, Fish & Malina.Notices of Deposition & Affidavit Indicating Proof of Svc Also Encl.Related Correspondence ML20215D4971986-12-10010 December 1986 Submits List of Documents Indexed in W Gasper to P Mcintire in Initial Response to First Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20215B2171986-12-0909 December 1986 Forwards from D Mcloughlin & Documents in Response to 861010 Document Discovery Request Re Facility Licensing Issues.Only Util Documents & Litigation Case Files Already Indexed Not Released.Related Correspondence ML20211L9091986-12-0303 December 1986 Ack Receipt of Notice of Deposition of Petrone.Advises That, by Accepting Svc,Author Has Not Agreed to Conduct Deposition at Place,Date or Time Unilaterally Chosen.Related Correspondence ML20214S9491986-12-0303 December 1986 Suppls Response to Util First Set of Interrogatories & Request for Production of Documents to Suffolk County,State of Ny & Town of Southampton.Fp Petrone May Testify in Support of Contentions 15 & 16.Related Correspondence ML20211L6041986-12-0202 December 1986 Forwards Suffolk County,State of Ny & Town of Southampton Response to Util First Set of Interrogatories & Requests for Production of Documents,Filed on 861114.Related Correspondence ML20214Q6761986-11-29029 November 1986 Forwards Second Half of Suffolk County,State of Ny & Town of Southampton 861129 Response to Util Second Set of Interrogatories & Requests for Production of Documents.First Half of Response Filed on 861126.Related Correspondence ML20214J4711986-11-26026 November 1986 Identifies Potential Expert Witnesses for Listed Contentions as Suppl to Suffolk County Response to Lilco First Set of Interrogatories & Requests for Production of Documents Dtd 861029.Related Correspondence ML20214P4401986-11-24024 November 1986 Forwards Miller Place Union Free School District 860701 & 830901 Resolutions Denying Existence of Effective Emergency Plan & Opposing Licensing of Plant ML20214G6321986-11-21021 November 1986 Forwards Verification Executed by Fr Jones to Be Substituted for Unsigned Verification Filed w/861114 Response to Util 861029 First Set of Interrogatories & Request for Production of Documents.Related Correspondence ML20214Q5961986-11-18018 November 1986 Forwards Verification for Response to Util First Set of Interrogatories & Request for Production of Documents.W/ Certificate of Svc.Related Correspondence ML20214C6881986-11-17017 November 1986 Notifies That FEMA Producing Documents in Response to .Need to Depose Members of Rac Under Active Consideration ML20215E6961986-11-15015 November 1986 Forwards Corrected Page 39 to Suffolk County 861114 Response to Util First Set of Interrogatories & Requests for Production of Documents.Related Correspondence ML20214B2541986-11-13013 November 1986 Confirms Discovery Issues Pertinent to Emergency Procedures Exercise Proceeding.Related Correspondence ML20211K3141986-11-12012 November 1986 Forwards Info Re Agreement Reached on Depositions of Two FEMA Employees,Per 861112 Discussion.Response to 861010 Document Production Request Will Be Produced on 861117. Certificate of Svc Encl.Related Correspondence ML20213F5411986-11-10010 November 1986 Advises That FEMA Unable to Produce non-FEMA Witnesses Until Representation Agreements Worked Out W/Respective Organizations.Agreement W/Anl Encl.Formal Response to 861110 Request Will Be Provided on 861112,per NRC Rules ML20213F4371986-11-0707 November 1986 Responds to Util .State of Ny Supreme Court Decision Not Stayed or Reversed & Binding.Related Correspondence ML20213E7751986-11-0606 November 1986 Discusses H Brown Re 861006 Instructions to FEMA Reviewers of Revs 7 & 8 to Offsite Emergency Plan.Purpose of Review to Assess Effectiveness of Measures Undertaken by Util to Remedy Technical Problems.Related Correspondence ML20213F5541986-11-0505 November 1986 Ack Receipt of FEMA Refusing to Withdraw Part of Memo Re Regional Assistance Committee Assuming That Authority Necessary to Manage & Implement Offsite Plant Exists.Related Correspondence ML20197C9071986-11-0404 November 1986 Responds to Indicating That Portion of 861006 Memo Noting That Committee May Have Had to Assume Authority to Manage & Implement Offsite Plan Exists Will Not Be Withdrawn.W/Certificate of Svc.Related Correspondence 1989-05-31
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, l KIRKPATRICK suiW mar, N.v.
& @T temustanaan 8 P1'.4 ** """m E sseum eneme W W ""E HW M AVets ma="%f#Mio?sWS! %";" .
cRANCH unmaa manee rebruary 27, 1945; annessu m nas venneamorseamnem ms name (202) 452-7044 '
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.,.# -4 @ p E E % !
(BY TELECOPY)
I Anthony F. Earley, Jr., Esq.
Hunton a Wil11ame P.O. Box 1535 707 East Main Street Richmond, Virginia 23212 Dear Tony
??* c "Tt:nr abrasive rept to my' 1stter of February 36: elearly
~ rates that LILCO a so-called " settlement proposal" was ing more than amateurish posturing aimed at the Eisensing
- , ?. =
- is look at the facts. The County, not LIIMtb first proposed settlement of the diesel litigation through a testing program. Ao you well know, we earlier stated that the crankshafts would be acceptable at particular leads if either they meet classification society rules (which they do not at or above-3500 kW) le7 1f they have beer. tes .ed at the g value, of such loads for H cycles (about 740 hours0.00856 days <br />0.206 hours <br />0.00122 weeks <br />2.8157e-4 months <br />) and been subsequently found to be
. free of defeats. We also said that the cracked engine blocks of diesels 101 and 102 could be acceptable for operation at particu-lar loads such leads if for one109f those sysles blocks and been were tested at founTTo subsequently the true nave value of
" ' n, suffered no significant ligament er circumferential crack propa-s@ gation and no initiation of stud-to,-stud cracks. These settlement
$8c$
gg
.- offers have been "on the table" for many months, and firmed as open offers earlier this month on the record in the were recon-me presence of.the Board. Tr. 27,101s.27,113.
$6 Has Lnco ever responded to these settlement offers? No.
o8 Instead, in october of 1984 LILCO chose to test diesel 103, with
$< its replacement engine block, for 525 hours0.00608 days <br />0.146 hours <br />8.680556e-4 weeks <br />1.997625e-4 months <br /> at a nominal load of 4 3300 kW. Taking into consideration instrument error of + 70 kW, mio that test run conservatively was at only 3230 kW. LILco~took credit for some 220 hours0.00255 days <br />0.0611 hours <br />3.637566e-4 weeks <br />8.371e-5 months <br /> of prior operation of diesel 103 with the replacement crankshaft and the original defootive block which LILCO has since replaced.
e KRXPATRICE e6 LOCKHART Anthony F. Earle , Jr., Esq.
February 27, 198 Page 2 i
Before LILCO began that test run we strongly urged the Staff, I which was acting as a "go-between" to try to arrange some settle-ment, to persuade LILCO to test either diesel 101 or 102 and at .
loads higher than-3300 kW. Our position, which.I as certain was j communicated to LILCO, was that because the replacement block of J diesel 103 was uncracked, of a different design and of a stronger l material than the cracked blocks on diesels 101 and 102, the test run on diesel 103 could not possibly resolve our concerns with the cracked blocks. We also indicated -hat testing at only 3300 kW was risky because a maximum load of 3300 kW had not been justi-fled. Because LILCO had maintained that the diesels were capable of safe operation at loads of -3500 kW to 3900 kW, we could not understand why LILCO was unwilling to put its theories to a test.
[ Y h e Staff responded that LILCO, not the Stafi,.had selected {
' 3355 kW as the maximum load for testing, and that the Staff had ne$ determined whether such a maoimum load wee justified. The
'said that diesel 103 wee to be tested because, greeks on the i' bment of the other diesels would prestude strain gm measure-C the can gallery areas however, the staff metnewledged -
that those measurements could be taken in 9nly about ten hours.
There was no reason for not running the 10 cycle test on diesel 101 or 102, except that LILCO must have been afraid of the consequences.
On February.22 LILco sent us its settlement proposal, purportedly "in response to Judge trenner's suggestion." This proposal did not mention, much less address. the County's con-tinuing settiament offer, despite Judge Brenner's comment about the County's offer. Tr. 27,113. Moreover, LILCo's proposal 7 cverlooked Judge arenner's questioning regarding testing at 10 cycles of diesels 101 or 102, and his stacament that if LILCo believes the diesels are acceptable at 3500 kW, why doesn't LILCO "put your money where your mouth is and run it at that load." Tr.
27,098. See also Tr. 27,117. If LILCO had cared to respond to the countyTs oTYor in a meaningful way, these comments would have put into context Judge Brenner's saggestion that you discuss with the " highest levels" of LILCO management practical steps that LILc0 might take to settle the diesel litigation. Tr. 27,111.
But aside from the LILCO proposal being unresponsive to Judge Brenner's comments, it was also unresponsive to the County's concerns, for the reasons summarised in my letter yesterday. For the sake of clarity, we will respond briefly to the arguments in your letter of February 27.
7
'e .
L i
MIRMFATRICK 46 LOCKHART Anthony F. Earley, Jr., Esq.
February 27, 1985 Page 3 .
First, as to the 220 hours0.00255 days <br />0.0611 hours <br />3.637566e-4 weeks <br />8.371e-5 months <br /> of additional crankshaft testing, we do not accept the Regulatory Guide 1.104 twenty-four hour test as an applicabis standard for crankshafts that fail to meet classification society rules. The original crankshafts on your diesels ran hundreds of hours longer than 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> before they broke, geoond, Dr. Bush's profiled testimony has not yet been sub-jected to cross-examination. We believe his analysis of crank-shaft failure modes is faulty and not supportable. Dr. Susa and the staff witnesses previously testified that the crankshafts should be acceptable at 3500 kN only if tested 10 7 cycles at that load.
Y 'Sird, inspections of suspect crankshafts after . testing is no N,..
pSetitute for adequate crankshafts. If eraeks initiate and prop-La a crankshaft during a L007/LOCA event, your inspections gf- .have been uselees. LILCO's own witness, Os". NoCarthy of V uts Analysis Associates, testified that there would be only a J ehert
- the orankshafttime between erankshaft crack initiation and the severing of (tr. 23,009) and that there is little purpose to be served by periodie erankshaft inspections. Tr. 23,065.
Fourth, pour letter confirms that your test would be at a
" median" leveh, would allow operators a "+ 100 kW control band,"
and wouit disregard instrument errer of +"100 kw. Hence, the test could be performed at a true value of onTy 3300 kW.
Fifth, your statement that testing the ermoked blocks of diesels 101 or 102 would not be meaningful is absurd. It is based upon LILCo's a tous " cumulative damage analysis," which we do not accept. tously if one completely accepts that analysis, testing would be superfluous. -Let's put ths LILCO theory to a real test. The County was willing to test its theory concerning the origin of saa gallery cracks (over LILCO's objections), and we were proved wrong. Why won't LILCo "put it9 money where its mouth is"? Test one of the oracked blocks for 10 cycles and we will.
all see whether or not your theories are correct. LILCO's refusal to carry out such a test speaks icuds than all of LILCO's words.
Your letter closes by stating your intention to submit the LILCo proposal and our exchange of correspondence to the Board.
We are already before the Boardt tnat's what this litigation is all about. If LILCo really wanted. a settlement, LILCO might have responded to the County's long-outstanding settlement offer. You
,3>
i ,
KIRXFAMICK k IDCEMART Anthony F. Earley, Jr., Esq.
February 27, 1985 Page 4 might have given us a proposal wnich responded to our concerne.
You might have suggested we discuss the issues in person or by telephone. Instead, you sent one non-responsive proposal.and one intemperate letter.
In our view, taking these matters to the Board will accom-plish nothing in the way of furthering a settlement. We cannet stop you from proceeding with your ill-conceived plan, but we will only discuss your " proposal" with the Board if the soard orders us to participate and if such dissuasions are on the record.
The County has settled most of the issues in the diesel litigation. We settled our contention regarding pistons. We
- t. ed our contention on cylinder heads. We settled our concerns
?.@ ' east tellery oraeks. We have made offers to settle the erank-f' *:
and cylindey block issues, based upon the testing of those to for 10 cycles sa the true valus of the loads they may
$: . We will continue to be reasonable, but we will not be M ., ..
4 by your theatrios.
The state of New York shares the views expressed in this letter.
Very truly yours, h' . -
Alan Roy ner [-
ARD/dk ces' Edwin J. Aais, Esq. '
Fabian G. Palomino, Esq.
9