Commonwealth of Ma Atty General Direct Testimony Re Prompt Alert & Notification Sys Issues.* Certificate of Svc Encl. Related CorrespondenceML20245E668 |
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Seabrook |
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Issue date: |
04/21/1989 |
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From: |
Kanfer R, Pearsons K, Perrow C, Tocci G ACENTECH, INC., CAVANAUGH TOCCI ASSOCIATES, INC., MASSACHUSETTS, COMMONWEALTH OF, MINNESOTA, UNIV. OF, MINNEAPOLIS, MN, YALE UNIV., NEW HAVEN, CT |
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References |
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CON-#289-8503 OL-1, NUDOCS 8905020086 |
Download: ML20245E668 (28) |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217H9511999-10-21021 October 1999 Memorandum & Order.* Proceeding Re Nepco 990315 Application Seeking Commission Approval of Indirect License Transfers Consolidated,Petitioners Granted Standing & Two Issues Admitted.With Certificate of Svc.Served on 991021 ML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20211L5141999-09-0202 September 1999 Comment on Draft Reg Guide DG-4006, Demonstrating Compliance with Radiological Criteria for License Termination. Author Requests Info as to When Seabrook Station Will Be Shut Down ML20211J1451999-08-24024 August 1999 Comment Opposing NRC Consideration of Waiving Enforcement Action Against Plants That Operate Outside Terms of Licenses Due to Y2K Problems ML20210S5641999-08-13013 August 1999 Motion of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Strike Unauthorized Response of Nepco.* Unauthorized Response Fails to Comply with Commission Policy.With Certificate of Svc ML20210Q7531999-08-11011 August 1999 Order Approving Application Re Corporate Merger (Canal Electric Co). Canal Shall Provide Director of NRR Copy of Any Application,At Time Filed to Transfer Grants of Security Interests or Liens from Canal to Proposed Parent ML20210P6271999-08-10010 August 1999 Response of New England Power Company.* Nu Allegations Unsupported by Any Facts & No Genuine Issues of Matl Facts in Dispute.Commission Should Approve Application Without Hearing ML20210H8311999-08-0303 August 1999 Reply of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Response of New England Power Co to Requests for Hearing.* Petitioners Request Hearing on Stated Issues.With Certificate of Svc ML20210J8501999-08-0303 August 1999 Order Approving Transfer of License & Conforming Amend.North Atlantic Energy Service Corp Authorized to Act as Agent for Joint Owners of Seabrook Unit 1 ML20211J1551999-07-30030 July 1999 Comment Opposing That NRC Allow Seabrook NPP to Operate Outside of Technical Specifications Due to Possible Y2K Problems ML20210E3011999-07-27027 July 1999 Response of New England Power Co to Requests for Hearing. Intervenors Have Presented No Justification for Oral Hearing in This Proceeding.Commission Should Reject Intervenors Request for Oral Hearing & Approve Application ML20209H9101999-07-20020 July 1999 Motion of Connecticut Light & Power Co & North Atlantic Energy Corp for Leave to Intervene & Petition for Hearing.* with Certificate of Svc & Notice of Appearance ML20195H1911999-06-15015 June 1999 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests.Requests That Commission Consent to Two Indirect Transfers of Control & Direct Transfer ML20206A1611999-04-26026 April 1999 Memorandum & Order.* Informs That Montaup,Little Bay Power Corp & Nepco Settled Differences Re Transfer of Ownership of Seabrook Unit 1.Intervention Petition Withdrawn & Proceeding Terminated.With Certificate of Svc.Served on 990426 ML20205M7621999-04-15015 April 1999 Notice of Withdrawal of Intervention of New England Power Co.* New England Power Co Requests That Intervention in Proceeding Be Withdrawn & Hearing & Related Procedures Be Terminated.With Certificate of Svc CLI-99-06, Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 9904071999-04-0707 April 1999 Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 990407 ML20205G0921999-04-0505 April 1999 Joint Motion of All Active Participants for 10 Day Extension to Permit Continuation of Settlement Discussion.* Participants Request That Procedural Schedule Be Extended by 10 Days.With Certificate of Svc ML20205G3091999-03-31031 March 1999 Petition That Individuals Responsible for Discrimination Against Contract Electrician at Plant as Noted in OI Rept 1-98-005 Be Banned by NRC from Participation in Licensed Activities for at Least 5 Yrs ML20204E6401999-03-24024 March 1999 Protective Order.* Issues Protective Order to Govern Use of All Proprietary Data Contained in License Transfer Application or in Participants Written Submission & Oral Testimony.With Certificate of Svc.Served on 990324 ML20204G7671999-03-23023 March 1999 Comment Supporting Proposed Rule 10CFR50.54(a) Re Direct Final Rule,Changes to QA Programs ML20207K1941999-03-12012 March 1999 North Atlantic Energy Svc Corp Participation in Proceeding.* Naesco Wished to Remain on Svc List for All Filings.Option to Submit post-hearing Amicus Curiae Brief Will Be Retained by Naesco.With Certificate of Svc ML20207H4921999-02-12012 February 1999 Comment on Draft Contingency Plan for Year 2000 Issue in Nuclear Industry.Util Agrees to Approach Proposed by NEI ML20203F9471999-02-0909 February 1999 License Transfer Application Requesting NRC Consent to Indirect Transfer of Control of Interest in Operating License NPF-86 ML20199F7641999-01-21021 January 1999 Answer of Montaup Electric Co to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests Motion Be Denied on Basis of Late Filing.With Certificate of Svc ML20199H0451999-01-21021 January 1999 Answer of Little Bay Power Corp to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests That Ui Petition to Intervene & for Hearing Be Denied for Reasons Stated.With Certificate of Svc ML20199D2461999-01-19019 January 1999 Supplemental Affidavit of Js Robinson.* Affidavit of Js Robinson Providing Info Re Financial Results of Baycorp Holding Ltd & Baycorp Subsidiary,Great Bay Power Corp. with Certificate of Svc ML20199D2311999-01-19019 January 1999 Response of New England Power Co to Answers of Montaup Electric Co & Little Bay Power Corp.* Nep Requests That Nep Be Afforded Opportunity to File Appropriate Rule Challenge with Commission Pursuant to 10CFR2.1329 ML20206R1041999-01-13013 January 1999 Answer of Little Bay Power Corp to Motion of New England Power Co for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* with Certificate of Svc ML20206Q8451999-01-12012 January 1999 Written Comments of Massachusetts Municipal Wholesale Electric Co.* Requests That Commission Consider Potential Financial Risk to Other Joint Owners Associated with License Transfer.With Certificate of Svc.Served on 990114 ML20199A4741999-01-12012 January 1999 Answer of Montaup Electric Co to Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Nepco 990104 Motion Should Be Denied for Reasons Stated.With Certificate of Svc ML20206Q0151999-01-12012 January 1999 North Atlantic Energy Svc Corp Answer to Petition to Intervene of New England Power Co.* If Commission Deems It Appropriate to Explore Issues Further in Subpart M Hearing Context,Naesco Will Participate.With Certificate of Svc ML20199A4331999-01-11011 January 1999 Motion of United Illuminating Co for Leave to Intervene & Petition to Allow Intervention out-of-time.* Company Requests That Petition to Allow Intervention out-of-time Be Granted.With Certificate of Svc ML20198P7181998-12-31031 December 1998 Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Moves to Intervene in Transfer of Montaup Seabrook Ownership Interest & Petitions for Summary Relief or for Hearing ML20198P7551998-12-30030 December 1998 Affidavit of J Robinson.* Affidavit of J Robinson Describing Events to Date in New England Re Premature Retirement of Npps,Current Plans to Construct New Generation in Region & Impact on Seabrook Unit 1 Operation.With Certificate of Svc ML20195K4061998-11-24024 November 1998 Memorandum & Order.* North Atlantic Energy Services Corp Granted Motion to Withdraw Proposed Amends & Dismiss Related Adjudicatory Proceedings as Moot.Board Decision LBP-98-23 Vacated.With Certificate of Svc.Served on 981124 ML20155J1071998-11-0909 November 1998 NRC Staff Answer to North Atlantic Energy Svc Corp Motion for Leave to File Reply.* Staff Does Not Object to North Atlantic Energy Svc Corp Motion.With Certificate of Svc ML20155D0041998-10-30030 October 1998 Motion for Leave to File Reply.* Licensee Requests Leave to Reply to Petitioner 981026 Response to Licensee 981015 Motion to Terminate Proceedings.Reply Necessary to Assure That Commission Is Fully Aware of Licensee Position ML20155D0121998-10-30030 October 1998 Reply to Petitioner Response to Motion to Terminate Proceedings.* Licensee Views Segmentation Issue as Moot & Requests Termination of Subj Proceedings.With Certificate of Svc ML20155B1641998-10-26026 October 1998 Response to Motion by Naesco to Withdraw Applications & to Terminate Proceedings.* If Commission Undertakes to Promptly Proceed on Issue on Generic Basis,Sapl & Necnp Will Have No Objection to Naesco Motion.With Certificate of Svc ML20154K8751998-10-15015 October 1998 Motion to Withdraw Applications & to Terminate Proceedings.* NRC Does Not Intend to Oppose Motion.With Certificate of Svc ML17265A8071998-10-0606 October 1998 Comment on Integrated Review of Assessment Process for Commercial Npps.Util Endorses Comments Being Provided by NEI on Behalf of Nuclear Industry ML20154C8171998-10-0606 October 1998 Notice of Appointment of Adjudicatory Employee.* Notice Given That W Reckley Appointed as Commission Adjudicatory Employee to Advise Commission on Issues Related to Review of LBP-98-23.With Certificate of Svc.Served on 981006 CLI-98-18, Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 9810061998-10-0505 October 1998 Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 981006 ML20153H4471998-10-0101 October 1998 Joint Motion of Schedule Deferral.* Naesco,Sapl & Necnp Jointly Request Temporary Deferral of Briefing Schedule as Established by Commission Order of 980917 (CLI-98-18). with Certificate of Svc ML20154F9891998-09-29029 September 1998 License Transfer Application Requesting Consent for Transfer of Montaup Electric Co Interest in Operating License NPF-86 for Seabrook Station,Unit 1,to Little Bay Power Corp ML20154D7381998-09-21021 September 1998 Affidavit of FW Getman Requesting Exhibit 1 to License Transfer Application Be Withheld from Public Disclosure,Per 10CFR2.790 ML20153C7791998-09-18018 September 1998 Comment Supporting Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Util Endorses NRC Staff Focus on Operability & Funtionality of Equipment & NEI Comments ML20151Z5611998-09-18018 September 1998 Order.* Pursuant to Commission Order CLI-98-18 Re Seabrook Unit 1 Proceeding,Schedule Described in Board 980904 Memorandum & Order Hereby Revoked Pending Further Action. with Certificate of Svc.Served on 980918 ML20151Y0331998-09-17017 September 1998 Order.* All Parties,Including Util,May File Brief No Later than 981007.Brief Shall Not Exceed 30 Pages.Commission May Schedule Oral Argument to Discuss Issues,After Receiving Responses.With Certificate of Svc.Served on 980917 ML20153E8771998-09-16016 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents. Recommends That NRC Reverse Decision to Revise Emergency Planning Regulation as Listed 1999-09-02
[Table view] Category:TRANSCRIPTS
MONTHYEARML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20236U5071998-07-20020 July 1998 Testimony of RA Backus on Behalf of Campaign for Ratepayer Rights ML20236T9111998-07-20020 July 1998 Testimony of Js Robinson Re Licensing of Facility ML20072V0131991-04-10010 April 1991 Transcript of 910410 Meeting in Rockville,Md Re Pullman- Higgins Field Weld Records Reverification Project.Pp 1-53. Supporting Documentation Encl ML20062B8601990-09-18018 September 1990 Transcript of 900918 Public Meeting W/Util in King of Prussia,Pa to Discuss Assessment of Power Ascension Test Program.Pp 1-100 ML20055D0961990-06-19019 June 1990 Transcript of 900619 Public Meeting in King of Prussia,Pa to Brief NRC on Assessment of Status & Results of Power Ascension Test Program.Pp 1-75.Supporting Info Encl ML20059F7101990-03-14014 March 1990 Transcript of Committee on Interior & Insular Affairs Subcommittee on General Oversight & Investigations 900314 Hearing on Licensing Procedures of NRC for Facility ML20245L5921989-08-17017 August 1989 Transcript of ACRS Subcommittee on Seabrook 890817 Meeting in Bethesda,Md.Pp 1-198.Related Info Encl ML20247M6371989-07-27027 July 1989 Transcript of Aslab 890727 Oral Argument in Bethesda,Md Re Offsite Emergency Planning.Pp 1-206.Supporting Info Encl ML20246F4441989-07-12012 July 1989 Transcript of 890712 Oral Argument in Bethesda,Md Re Offsite Emergency Planning Issues.Pp 1-103 ML20246A1481989-06-30030 June 1989 Transcript of ASLB 890630 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,185-28,296.Related Info Encl.Witness:Tj Adler ML20246N6791989-06-30030 June 1989 Rebuttal Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Interaction of Commuter Flow & Evacuation Traffic Flow within Seabrook Epz.* W/ Certificate of Svc.Related Correspondence ML20245K9531989-06-29029 June 1989 Transcript of ASLB 890629 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,051-28,184.Supporting Info Encl.Witnesses:O Renn,Am Callendrello & Eb Lieberman ML20245J7811989-06-28028 June 1989 Transcript of ASLB 890628 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,779-28,050.Supporting Info Encl.Witnesses:Am Callendrello,Ds Mileti,G Catapano & Cj High ML20245J7731989-06-27027 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re JI-56 (Monitoring Rate).* Evacuee Loads Could Possibly Be Higher than Estimates.W/ Certificate of Svc.Related Correspondence ML20245J7551989-06-27027 June 1989 Errata to Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention JI-56 (Monitoring Rate).* Related Correspondence ML20245J4821989-06-27027 June 1989 Transcript of 890627 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,427-27,778.Supporting Info Encl.Witnesses:Sj Ellis,Am Callendrello,Cm Frank,Tf Grew & Tm Carter ML20245J2521989-06-26026 June 1989 Transcript of 890626 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,250-27,426.Supporting Info Encl.Witnesses:Am Callendrello,Wf Renz,G Catapano,Sj Ellis, Tf Grew & CM Frank ML20245J5441989-06-26026 June 1989 Surrebuttal Testimony of Ba Burrows on Issues Re MS-1 Hosps, Reception/Decontamination Ctrs & FEMA (Gm) MS-1 Guidance.* Success in Monitoring Such Large Group within 12 H Unlikely. W/Certificate of Svc.Related Correspondence ML20245J7421989-06-26026 June 1989 Testimony of O Renn on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re JI-56 & Transit Time Through Reception Ctrs.* Using Estimated Stay Time/Carload of Under 25 Minutes Not Prudent.W/Certificate of Svc.Related Correspondence ML20245G1641989-06-23023 June 1989 Transcript of 890623 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,131-27,249.Related Info Encl.Witnesses:T Urbanik,Wf Renz,Am Callendrello & G Catapano ML20245D5881989-06-22022 June 1989 Transcript of 890622 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,854-27,130.Witnesses: Am Callendrello & Eb Lieberman ML20245J4021989-06-21021 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention of JI-56 (Monitoring Rate).* Evacuee Load Estimates Will Likley Be Exceeded.W/Certificate of Svc.Related Correspondence ML20245C1231989-06-21021 June 1989 Transcript of 890621 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,586-26,853.Witnesses: Am Callendrello & Eb Lieberman.Supporting Info Encl ML20245B3761989-06-20020 June 1989 Transcript of ASLB 890620 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,282-26,585.Related Info Encl.Witnesses:Tj Adler & T Urbanik ML20245D4671989-06-19019 June 1989 Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re Contention JI-56, Reception Ctr Parking.* Estimates of Parking Capacity at Ctr Found Unreasonable.W/Certificate of Svc.Related Correspondence ML20245A2831989-06-19019 June 1989 Transcript of 890619 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,137-26,281.Related Info Encl.Witnesses:H Harris & Tj Adler ML20245A4661989-06-16016 June 1989 Transcript of 890616 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,033-26,136.Supporting Info Encl.Witness:Si Cohn ML20244E1381989-06-15015 June 1989 Transcript of 890615 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,794-26,032.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20244D6061989-06-14014 June 1989 Transcript of 890614 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,527-25,793.Related Info Encl.Witnesses:D Breton,J Van Gelder,R Cotter,J Bisson, Am Callendrello & P Littlefield ML20244D6131989-06-13013 June 1989 Transcript of 890613 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,227-25,526.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20245A7061989-06-13013 June 1989 Suppl to Applicant Rebuttal Testimony 16 (Interaction of Commuter Traffic Flow & Evacuation Traffic Flow within Seabrook Epz).* W/Supporting Info & Certificate of Svc. Related Correspondence ML20244E0281989-06-12012 June 1989 Transcript of ASLB 890612 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,065-25,226 ML20244C9661989-06-0909 June 1989 Transcript of 890609 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,965-25,064.Witness: CS Glick.Supporting Documentation Encl ML20244B7461989-06-0808 June 1989 Transcript of 890608 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,610-24,964.Witnesses: Ef Fox,Rj Bores ML20244A9041989-06-0707 June 1989 Transcript of 890607 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,363-24,609.Witness: Rl Goble ML20244A8961989-06-0606 June 1989 Transcript of 890606 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,102-24,362.Related Info Encl.Witness:Rl Goble ML20248A5491989-06-0505 June 1989 Transcript of 890605 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,931-24,101.Supporting Info Encl.Witnesses:Cm Frank,Am Callendrello & Jg Robinson ML20247Q5981989-06-0202 June 1989 Transcript of 890602 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,821-23,930.Witnesses: CM Frank,Am Callendrello & Jg Robinson ML20248B5421989-06-0101 June 1989 Suppl to Applicant Rebuttal Testimony 17 (Reception Ctr Parking).* Testimony Re Calculation of Parking Spaces Needed Per Facility to Maintain Flow of Evacuees Through Monitoring Trailers.W/Certificate of Svc.Related Correspondence ML20247N8031989-06-0101 June 1989 Transcript of 890601 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,547-23,820.Witnesses: Cm Frank,Am Callendrello,Jg Robinson ML20247M9471989-05-30030 May 1989 Transcript of 890530 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,148-23,290.W/supporting Info.Witnesses:Jw Baer,Am Callendrello,Gr Gram,H Saxner, G St Hilaire ML20247K0601989-05-26026 May 1989 Transcript of 890526 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,042-23,147.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247G1821989-05-25025 May 1989 Transcript of 890525 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,784-23,041.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247F7691989-05-24024 May 1989 Transcript of 890524 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,507-22,783.Supporting Documentation Encl ML20244A8791989-05-24024 May 1989 Transcript of 890524 Affirmation/Discussion & Vote in Rockville,Md.Pp 1-4 ML20247E7311989-05-23023 May 1989 Transcript of 890523 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,264-22,506 ML20247E0081989-05-22022 May 1989 Errata Sheet to Corrected Testimony of Gw Sikich & J Paolillo on Behalf of Atty General Jm Shannon,Town of Hampton,Necnp & Seacoast Anti-Pollution League Re Toh/Necnp Ex 1(a) & (B).* ML20247D4451989-05-22022 May 1989 Transcript of 890522 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,171-22,263.Witness: RW Donovan ML20247A9771989-05-19019 May 1989 Transcript of 890519 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22.064-22,170.Witness: RW Donovan 1999-10-21
[Table view] Category:DEPOSITIONS
MONTHYEARML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20236U5071998-07-20020 July 1998 Testimony of RA Backus on Behalf of Campaign for Ratepayer Rights ML20236T9111998-07-20020 July 1998 Testimony of Js Robinson Re Licensing of Facility ML20072V0131991-04-10010 April 1991 Transcript of 910410 Meeting in Rockville,Md Re Pullman- Higgins Field Weld Records Reverification Project.Pp 1-53. Supporting Documentation Encl ML20062B8601990-09-18018 September 1990 Transcript of 900918 Public Meeting W/Util in King of Prussia,Pa to Discuss Assessment of Power Ascension Test Program.Pp 1-100 ML20055D0961990-06-19019 June 1990 Transcript of 900619 Public Meeting in King of Prussia,Pa to Brief NRC on Assessment of Status & Results of Power Ascension Test Program.Pp 1-75.Supporting Info Encl ML20059F7101990-03-14014 March 1990 Transcript of Committee on Interior & Insular Affairs Subcommittee on General Oversight & Investigations 900314 Hearing on Licensing Procedures of NRC for Facility ML20245L5921989-08-17017 August 1989 Transcript of ACRS Subcommittee on Seabrook 890817 Meeting in Bethesda,Md.Pp 1-198.Related Info Encl ML20247M6371989-07-27027 July 1989 Transcript of Aslab 890727 Oral Argument in Bethesda,Md Re Offsite Emergency Planning.Pp 1-206.Supporting Info Encl ML20246F4441989-07-12012 July 1989 Transcript of 890712 Oral Argument in Bethesda,Md Re Offsite Emergency Planning Issues.Pp 1-103 ML20246A1481989-06-30030 June 1989 Transcript of ASLB 890630 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,185-28,296.Related Info Encl.Witness:Tj Adler ML20246N6791989-06-30030 June 1989 Rebuttal Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Interaction of Commuter Flow & Evacuation Traffic Flow within Seabrook Epz.* W/ Certificate of Svc.Related Correspondence ML20245K9531989-06-29029 June 1989 Transcript of ASLB 890629 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,051-28,184.Supporting Info Encl.Witnesses:O Renn,Am Callendrello & Eb Lieberman ML20245J7811989-06-28028 June 1989 Transcript of ASLB 890628 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,779-28,050.Supporting Info Encl.Witnesses:Am Callendrello,Ds Mileti,G Catapano & Cj High ML20245J7731989-06-27027 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re JI-56 (Monitoring Rate).* Evacuee Loads Could Possibly Be Higher than Estimates.W/ Certificate of Svc.Related Correspondence ML20245J7551989-06-27027 June 1989 Errata to Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention JI-56 (Monitoring Rate).* Related Correspondence ML20245J4821989-06-27027 June 1989 Transcript of 890627 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,427-27,778.Supporting Info Encl.Witnesses:Sj Ellis,Am Callendrello,Cm Frank,Tf Grew & Tm Carter ML20245J2521989-06-26026 June 1989 Transcript of 890626 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,250-27,426.Supporting Info Encl.Witnesses:Am Callendrello,Wf Renz,G Catapano,Sj Ellis, Tf Grew & CM Frank ML20245J5441989-06-26026 June 1989 Surrebuttal Testimony of Ba Burrows on Issues Re MS-1 Hosps, Reception/Decontamination Ctrs & FEMA (Gm) MS-1 Guidance.* Success in Monitoring Such Large Group within 12 H Unlikely. W/Certificate of Svc.Related Correspondence ML20245J7421989-06-26026 June 1989 Testimony of O Renn on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re JI-56 & Transit Time Through Reception Ctrs.* Using Estimated Stay Time/Carload of Under 25 Minutes Not Prudent.W/Certificate of Svc.Related Correspondence ML20245G1641989-06-23023 June 1989 Transcript of 890623 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,131-27,249.Related Info Encl.Witnesses:T Urbanik,Wf Renz,Am Callendrello & G Catapano ML20245D5881989-06-22022 June 1989 Transcript of 890622 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,854-27,130.Witnesses: Am Callendrello & Eb Lieberman ML20245J4021989-06-21021 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention of JI-56 (Monitoring Rate).* Evacuee Load Estimates Will Likley Be Exceeded.W/Certificate of Svc.Related Correspondence ML20245C1231989-06-21021 June 1989 Transcript of 890621 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,586-26,853.Witnesses: Am Callendrello & Eb Lieberman.Supporting Info Encl ML20245B3761989-06-20020 June 1989 Transcript of ASLB 890620 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,282-26,585.Related Info Encl.Witnesses:Tj Adler & T Urbanik ML20245D4671989-06-19019 June 1989 Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re Contention JI-56, Reception Ctr Parking.* Estimates of Parking Capacity at Ctr Found Unreasonable.W/Certificate of Svc.Related Correspondence ML20245A2831989-06-19019 June 1989 Transcript of 890619 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,137-26,281.Related Info Encl.Witnesses:H Harris & Tj Adler ML20245A4661989-06-16016 June 1989 Transcript of 890616 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,033-26,136.Supporting Info Encl.Witness:Si Cohn ML20244E1381989-06-15015 June 1989 Transcript of 890615 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,794-26,032.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20244D6061989-06-14014 June 1989 Transcript of 890614 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,527-25,793.Related Info Encl.Witnesses:D Breton,J Van Gelder,R Cotter,J Bisson, Am Callendrello & P Littlefield ML20244D6131989-06-13013 June 1989 Transcript of 890613 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,227-25,526.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20245A7061989-06-13013 June 1989 Suppl to Applicant Rebuttal Testimony 16 (Interaction of Commuter Traffic Flow & Evacuation Traffic Flow within Seabrook Epz).* W/Supporting Info & Certificate of Svc. Related Correspondence ML20244E0281989-06-12012 June 1989 Transcript of ASLB 890612 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,065-25,226 ML20244C9661989-06-0909 June 1989 Transcript of 890609 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,965-25,064.Witness: CS Glick.Supporting Documentation Encl ML20244B7461989-06-0808 June 1989 Transcript of 890608 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,610-24,964.Witnesses: Ef Fox,Rj Bores ML20244A9041989-06-0707 June 1989 Transcript of 890607 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,363-24,609.Witness: Rl Goble ML20244A8961989-06-0606 June 1989 Transcript of 890606 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,102-24,362.Related Info Encl.Witness:Rl Goble ML20248A5491989-06-0505 June 1989 Transcript of 890605 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,931-24,101.Supporting Info Encl.Witnesses:Cm Frank,Am Callendrello & Jg Robinson ML20247Q5981989-06-0202 June 1989 Transcript of 890602 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,821-23,930.Witnesses: CM Frank,Am Callendrello & Jg Robinson ML20248B5421989-06-0101 June 1989 Suppl to Applicant Rebuttal Testimony 17 (Reception Ctr Parking).* Testimony Re Calculation of Parking Spaces Needed Per Facility to Maintain Flow of Evacuees Through Monitoring Trailers.W/Certificate of Svc.Related Correspondence ML20247N8031989-06-0101 June 1989 Transcript of 890601 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,547-23,820.Witnesses: Cm Frank,Am Callendrello,Jg Robinson ML20247M9471989-05-30030 May 1989 Transcript of 890530 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,148-23,290.W/supporting Info.Witnesses:Jw Baer,Am Callendrello,Gr Gram,H Saxner, G St Hilaire ML20247K0601989-05-26026 May 1989 Transcript of 890526 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,042-23,147.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247G1821989-05-25025 May 1989 Transcript of 890525 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,784-23,041.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247F7691989-05-24024 May 1989 Transcript of 890524 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,507-22,783.Supporting Documentation Encl ML20244A8791989-05-24024 May 1989 Transcript of 890524 Affirmation/Discussion & Vote in Rockville,Md.Pp 1-4 ML20247E7311989-05-23023 May 1989 Transcript of 890523 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,264-22,506 ML20247E0081989-05-22022 May 1989 Errata Sheet to Corrected Testimony of Gw Sikich & J Paolillo on Behalf of Atty General Jm Shannon,Town of Hampton,Necnp & Seacoast Anti-Pollution League Re Toh/Necnp Ex 1(a) & (B).* ML20247D4451989-05-22022 May 1989 Transcript of 890522 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,171-22,263.Witness: RW Donovan ML20247A9771989-05-19019 May 1989 Transcript of 890519 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22.064-22,170.Witness: RW Donovan 1999-10-21
[Table view] Category:NARRATIVE TESTIMONY
MONTHYEARML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20236U5071998-07-20020 July 1998 Testimony of RA Backus on Behalf of Campaign for Ratepayer Rights ML20236T9111998-07-20020 July 1998 Testimony of Js Robinson Re Licensing of Facility ML20072V0131991-04-10010 April 1991 Transcript of 910410 Meeting in Rockville,Md Re Pullman- Higgins Field Weld Records Reverification Project.Pp 1-53. Supporting Documentation Encl ML20062B8601990-09-18018 September 1990 Transcript of 900918 Public Meeting W/Util in King of Prussia,Pa to Discuss Assessment of Power Ascension Test Program.Pp 1-100 ML20055D0961990-06-19019 June 1990 Transcript of 900619 Public Meeting in King of Prussia,Pa to Brief NRC on Assessment of Status & Results of Power Ascension Test Program.Pp 1-75.Supporting Info Encl ML20059F7101990-03-14014 March 1990 Transcript of Committee on Interior & Insular Affairs Subcommittee on General Oversight & Investigations 900314 Hearing on Licensing Procedures of NRC for Facility ML20245L5921989-08-17017 August 1989 Transcript of ACRS Subcommittee on Seabrook 890817 Meeting in Bethesda,Md.Pp 1-198.Related Info Encl ML20247M6371989-07-27027 July 1989 Transcript of Aslab 890727 Oral Argument in Bethesda,Md Re Offsite Emergency Planning.Pp 1-206.Supporting Info Encl ML20246F4441989-07-12012 July 1989 Transcript of 890712 Oral Argument in Bethesda,Md Re Offsite Emergency Planning Issues.Pp 1-103 ML20246A1481989-06-30030 June 1989 Transcript of ASLB 890630 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,185-28,296.Related Info Encl.Witness:Tj Adler ML20246N6791989-06-30030 June 1989 Rebuttal Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Interaction of Commuter Flow & Evacuation Traffic Flow within Seabrook Epz.* W/ Certificate of Svc.Related Correspondence ML20245K9531989-06-29029 June 1989 Transcript of ASLB 890629 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 28,051-28,184.Supporting Info Encl.Witnesses:O Renn,Am Callendrello & Eb Lieberman ML20245J7811989-06-28028 June 1989 Transcript of ASLB 890628 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,779-28,050.Supporting Info Encl.Witnesses:Am Callendrello,Ds Mileti,G Catapano & Cj High ML20245J7731989-06-27027 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re JI-56 (Monitoring Rate).* Evacuee Loads Could Possibly Be Higher than Estimates.W/ Certificate of Svc.Related Correspondence ML20245J7551989-06-27027 June 1989 Errata to Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention JI-56 (Monitoring Rate).* Related Correspondence ML20245J4821989-06-27027 June 1989 Transcript of 890627 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,427-27,778.Supporting Info Encl.Witnesses:Sj Ellis,Am Callendrello,Cm Frank,Tf Grew & Tm Carter ML20245J2521989-06-26026 June 1989 Transcript of 890626 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,250-27,426.Supporting Info Encl.Witnesses:Am Callendrello,Wf Renz,G Catapano,Sj Ellis, Tf Grew & CM Frank ML20245J5441989-06-26026 June 1989 Surrebuttal Testimony of Ba Burrows on Issues Re MS-1 Hosps, Reception/Decontamination Ctrs & FEMA (Gm) MS-1 Guidance.* Success in Monitoring Such Large Group within 12 H Unlikely. W/Certificate of Svc.Related Correspondence ML20245J7421989-06-26026 June 1989 Testimony of O Renn on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re JI-56 & Transit Time Through Reception Ctrs.* Using Estimated Stay Time/Carload of Under 25 Minutes Not Prudent.W/Certificate of Svc.Related Correspondence ML20245G1641989-06-23023 June 1989 Transcript of 890623 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 27,131-27,249.Related Info Encl.Witnesses:T Urbanik,Wf Renz,Am Callendrello & G Catapano ML20245D5881989-06-22022 June 1989 Transcript of 890622 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,854-27,130.Witnesses: Am Callendrello & Eb Lieberman ML20245J4021989-06-21021 June 1989 Revised Testimony of Cj High on Behalf of Jm Shannon,Atty General for Commonwealth of Ma Re Contention of JI-56 (Monitoring Rate).* Evacuee Load Estimates Will Likley Be Exceeded.W/Certificate of Svc.Related Correspondence ML20245C1231989-06-21021 June 1989 Transcript of 890621 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,586-26,853.Witnesses: Am Callendrello & Eb Lieberman.Supporting Info Encl ML20245B3761989-06-20020 June 1989 Transcript of ASLB 890620 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,282-26,585.Related Info Encl.Witnesses:Tj Adler & T Urbanik ML20245D4671989-06-19019 June 1989 Testimony of Tj Adler on Behalf of Jm Shannon,Atty General for Commonwealth of Ma,Re Contention JI-56, Reception Ctr Parking.* Estimates of Parking Capacity at Ctr Found Unreasonable.W/Certificate of Svc.Related Correspondence ML20245A2831989-06-19019 June 1989 Transcript of 890619 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,137-26,281.Related Info Encl.Witnesses:H Harris & Tj Adler ML20245A4661989-06-16016 June 1989 Transcript of 890616 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 26,033-26,136.Supporting Info Encl.Witness:Si Cohn ML20244E1381989-06-15015 June 1989 Transcript of 890615 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,794-26,032.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20244D6061989-06-14014 June 1989 Transcript of 890614 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,527-25,793.Related Info Encl.Witnesses:D Breton,J Van Gelder,R Cotter,J Bisson, Am Callendrello & P Littlefield ML20244D6131989-06-13013 June 1989 Transcript of 890613 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,227-25,526.Witnesses: J Bisson,Am Callendrello,R Cotter & P Littlefield ML20245A7061989-06-13013 June 1989 Suppl to Applicant Rebuttal Testimony 16 (Interaction of Commuter Traffic Flow & Evacuation Traffic Flow within Seabrook Epz).* W/Supporting Info & Certificate of Svc. Related Correspondence ML20244E0281989-06-12012 June 1989 Transcript of ASLB 890612 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 25,065-25,226 ML20244C9661989-06-0909 June 1989 Transcript of 890609 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,965-25,064.Witness: CS Glick.Supporting Documentation Encl ML20244B7461989-06-0808 June 1989 Transcript of 890608 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,610-24,964.Witnesses: Ef Fox,Rj Bores ML20244A9041989-06-0707 June 1989 Transcript of 890607 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,363-24,609.Witness: Rl Goble ML20244A8961989-06-0606 June 1989 Transcript of 890606 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 24,102-24,362.Related Info Encl.Witness:Rl Goble ML20248A5491989-06-0505 June 1989 Transcript of 890605 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,931-24,101.Supporting Info Encl.Witnesses:Cm Frank,Am Callendrello & Jg Robinson ML20247Q5981989-06-0202 June 1989 Transcript of 890602 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,821-23,930.Witnesses: CM Frank,Am Callendrello & Jg Robinson ML20248B5421989-06-0101 June 1989 Suppl to Applicant Rebuttal Testimony 17 (Reception Ctr Parking).* Testimony Re Calculation of Parking Spaces Needed Per Facility to Maintain Flow of Evacuees Through Monitoring Trailers.W/Certificate of Svc.Related Correspondence ML20247N8031989-06-0101 June 1989 Transcript of 890601 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,547-23,820.Witnesses: Cm Frank,Am Callendrello,Jg Robinson ML20247M9471989-05-30030 May 1989 Transcript of 890530 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,148-23,290.W/supporting Info.Witnesses:Jw Baer,Am Callendrello,Gr Gram,H Saxner, G St Hilaire ML20247K0601989-05-26026 May 1989 Transcript of 890526 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 23,042-23,147.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247G1821989-05-25025 May 1989 Transcript of 890525 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,784-23,041.Witnesses: JW Baer,Am Callendrello,Gr Gram ML20247F7691989-05-24024 May 1989 Transcript of 890524 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,507-22,783.Supporting Documentation Encl ML20244A8791989-05-24024 May 1989 Transcript of 890524 Affirmation/Discussion & Vote in Rockville,Md.Pp 1-4 ML20247E7311989-05-23023 May 1989 Transcript of 890523 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,264-22,506 ML20247E0081989-05-22022 May 1989 Errata Sheet to Corrected Testimony of Gw Sikich & J Paolillo on Behalf of Atty General Jm Shannon,Town of Hampton,Necnp & Seacoast Anti-Pollution League Re Toh/Necnp Ex 1(a) & (B).* ML20247D4451989-05-22022 May 1989 Transcript of 890522 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22,171-22,263.Witness: RW Donovan ML20247A9771989-05-19019 May 1989 Transcript of 890519 Evidentiary Hearing in Boston,Ma Re Offsite Emergency Planning.Pp 22.064-22,170.Witness: RW Donovan 1999-10-21
[Table view] |
Text
.___ -
1563
.t -?
-t- gE1ATED CORRESPONDielC.51 i'OL G I E p g. '
iNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION .s APR 24 ' P 3 :50 ATOMIC SAFETY AND LICENSING BOARD nitut u h0CF hiih fi Before Administrative Judges: ~*'
Peter Bloch, Chairman Emmeth A..Luebke Dr.~ Jerry Harbour
/ ___
)
In the Matter of )
)
PUBLIC SERVICE COMPANY OF ) Docket No.(s)
NEW HAMPSHIRE, ET AL. ) 50-443/444-OL-1 (Seabrook Station,-Units 1 and 2) ) On-site EP
) April 21, 1989
)
MASS AG DIRECT TESTIMONY REGARDING PROMPT ALERT AND NOTIFICATION SYSTEM ISSUES Eanel Members 1 Ruth Kanfer, Professor University of Minnesota Karl S. Pearsons, Senior Consultant, Acentech, Inc.
Charles B. Perrow, Professor Yale University Gregory C. Tocci, President, Cavanaugh Tocci Associates 8905020086 890421 PDR 7 i T ADOCK 05000443 PDR I g
)D6 i
s.
t O I. INTRODUCTION In.its Memorandum and Order (Summary Disposition),
LBP-89-09, dated March 3, 1989, the Board ruled that a number of genuine issues of' material fact with respect to the l'
Applicants' VANS system remain for hearing. Pursuant to the Board's scheduling order the Applicants filed their Direct Testimony on the remaining issues on April 3, 1989. The L testimony of the Mass AG addresses the issues identified by the i
. Board, as well as the Applicants' Direct Testimony.
Section II below addresses the questions designated by the Board ac A.1-1 and A.1-2.Section III below addresses the l questions designated by the Board as A.1-3 and A.1-4.Section IV below addresses the question designated by the Board as A.5-1.Section V below addresses the questions designated by the Board as A.5-3 and A.5-4.
II, 123 DBC LIMII/ DISCOMFORT STANDARD The Board in its' Memorandum and Order at 9-10, found the following general issues of material fact: )
A. 1-1 Whether sound levels in excess of 123 dBC cause enough di;tuomfort so that the Board should not approve the use of sirens at a high level of sound.
A. 1-2 If there is some level higher than 123 dBC that .
l the Board should allow, what is that level?
s
{
r 4 j j
The Applicants answer the questions by taking'the position l that the VANS system meets the 123 dBC limit without alteration. This is based principally on two claims: a) that the height of the siren speaker is r.uch that exposure will be
]:
less than 123 dBC for normal operation and would only briefly J exceed 123 dBC for 25 foot operation; and b) the " discomfort" standard should be viewed in terms of auditory fatigue or temporary threshold shifts and when so viewed the output of the ;
VANS sirens is acceptable.
The purpose here is to demonstrate to the Board that !
discomfort due to excessive sound levels is a separate phenomenon from auditory fatigue or even hearing damage due to those levels. NUREG-0654 uses the standard of discomfort and sets a limit of less than 123 dBC. There is substantial support for setting the limit at that level as an upper bound of discomfort to individuals, even if no fatigue or damage results.
Sound levels of varying magnitude affect people in a variety of ways. High levels of sound exposure can cause temporary and permanent threshold shifts, either immediately or over a long period of time. At high enough exposure levels, sound can also cause pain or discomfort and create " tickle" or feeling". At lower levels sound can cause annoyance, interfere -
with speech communication, and disturb sleep. Many of the effects of sounds on people depend both on the frequency
~
- g. .4
.4 content'of the sound as well as their duration. However, discomfort and pain do not depend on frequency within the l
frequency range from 200 to 2000 Hz, and are reported by subjects'very soon after the onset of the sound.
Textbooks and articles discussing tolerance to sound have g cited levels in the vicinity of 120 dBC as causing discomfort l and 140 dBC as causing pain. Although these levels or even I lower levels have'been cited in many references,1# the levels j 1/ References citing 140 dB or lower as thresholds for pain are:
L. Beranek, Acpyslins (New York: Acoustical Society of America, 1954, 1986)
L. Doelle, Environmental Acoustics (New York: McGraw-Hill, Inc. 1972) (125 dB)
M. Egan, Rciti.techural Aqouttins (New York: _
McGraw-Hill, Inc. 1988) (130dB)
R. Gales, " Hearing Characteristics, "Handhnak_QLNoise CQntinl, 2d Ed. ed. C. Harris (New York: McGraw-Hill, Inc.
1979)'
T. Rossing, h .SniCDne_Qf_Enund (Reading, MA:
Addison-Wesley Publishing Co., Inc. 1982)
A. Peterson and E. Gross, Jr., Randbook.of Noing Measurement, 7th P' (Concord, MA: General Radio, 1963, J 1967, 1972)
J. Sataloff and P. Michael, Healing._Canaer_vation (Springfield, IL: Charles C. Thomas, Publisher, 1973)
References citing 120 dB or lower as thresholds for -
i discomfort are:
Beranek (above) (110 dB)
P. Cheremisinoff and P. Cheremisinoff, IndustXial_Haing Control ___ Handbook (Ann Arbor: Ann Arbor Publishers, Inc.,
1977) (115 dB)
(footnote continued) i
Te
'a' l-o-
[
causing discomfort seem to be based mainly on a: study conducted p
L by Silverman, Harrison, and Lane, " Tolerance for Pure Tone and for Speech in Normal and Hard-of-Hearing Ears," (St. Louis:
Central Institute for the Deaf, OSRD Report 6303, 1946),
Silverman, et'a1., investigated tolerance levels for both L pure tones and speech in individuals with normal and defective i hearing. The' study reported "three clearly distinguishable l
thresholds," identified as follows in the published article:
- 1. Discomfant._thJ.eahp M , defined as the point at which the subject feels he would cease to listen because the- (
stimulus was uncomfortable. '
- 2. Tickle threshold, defined as the point at which the subject experiences a definite tickling sensation in the ear.
- 3. P.ain_thresholA, defined as the point at which the subject experiences a definite sensatio.1 of sharp.
pain, as opposed to more discomfort deep in the ear.
Thresholds for discomfort, tickle, and pain, ucing pure tone and speech, were determined over a 6-week period for 46 normal ears and 46 hard-of-hearing' ears. A total of 16,000 observations were made during the course of the investigation.
Since the main focus of this review is discomfort, it is (footnote continued)
Gales (above)
K. Kryter, The . Ef f_ec.ts_ o f_IloisASTL Man , 1s t Ed . and 2d Ed.
(Orlando: Academic Press, Inc. 1985)
A. Petterson and E. Gross, Jr. (above)
-S-
f 8 instructive to include the actual instructions given to the subjects as follows:
"You will hear a tone which will get louder and louder. Tell me when you reach the point where tne tone is uncomfortable, that is, when you would no longer care to listen or when you feel like removing the earphone from your ear. When the uncomfortable point is reached, say
' uncomfortable' and I will shut off the tone.
We shall then repeat the procedure with another tone. Are you ready?"
The signals were presented as "an ascending staircase" with each level being 2 dB higher than the preceding one. The duration at each level was 1.5 seconds with no off time between successive levels.
Average discomfort threshold levels ranged from 110 dBC at the start of the tests to 122 dBC at the end of the final series. There is a slight frequency effect in that a minimum existed in the levels at 1400 to 4000 Hz which was 3 dB below the average at all frequencies tested. However, the levels around 500 Hz were well represented by the average values.
Thus, at the beginning of the 6-week test the threshold of discomfort was 110 dBC and at the end the average threshold was 120 dBC. Evidently, people changed their threshold by 10 dB after being exposed to high level sounds. Such an influence was also observed within a test trial. For example, the entire test series was repeated during each test session and the average threshold of discomfort increased by as much as 8 dB in the repeated test. However, at the start of each weekly test l
2
e s
- session the threshold of discomfort dropped from the final value of the previous week's session.
In summary, the average discomfort level threshold, for people with normal hearing that are unaccustomed to high noise levels, is 110 dBC for sounds lasting 1.5 seconds, the duration of the sounds under test. For individuals with a history of exposure to high noise levels, this threshold might be raised to 120 dBC. An average level for the threshold of discomfort is 115 dBC. This level is also approximately equal to the average discomfort level determined at the start of each weekly session. It should be pointed out that the 115 dBC threshold of discomfort level is an average level. The threshold of discomfort for some individuals would be higher than 115 dBC and lower for others.
One measure of the range of levels across subjects may be expressed as the standard deviation of the threshold levels obtained from the experiment. Unfortunately, values of the standard deviation of threshold levels were not reported by Silverman, et al. For audibility thresholds, a standard deviation of 6.5 dB has been observed for a 500 Hz tone (Dadson and King, "A Determination of the Normal Threshold of Hearing and its Relation to the Standardization of Audiometers," ,
l Journal of Laryn.gplagy vol . 66, page 366 (1952)). In a test to determine the threshold of " feeling", the standard deviation at 500 Hz can be calculated from reported levels (D. Lierle and S.
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Reger, " Threshold of Feeling in the Ear in Relation to Sound Pres su res , " Andl . Ot$1Anyag, 23:653 (June 1936)) to be 6 dB for )
I 38 ears. Since the threshold of discomfort might exhibit a i
greater variation in levels, a standard deviation of 8 to 10 dB might be representative. If these values were characteristic i of the distribution of threshold levels of discomfort about I some average value, then an estimate can be made of the percentage of people whose threshold of discomfort level would be exceeded by a 123 dBC tone at 550 Hz such as generated by a i
siren. Thus, for a 10 dB standard deviation, the percentage of !
people whose threshold of discomfort would be exceeded would be !
79%. Similarly, for an 8 dB standard deviation, the percentage of people whose threshold of discomfort would be exceeded would be 84%.
In conclusion, the 123 dBC level is already on the high.
side of the range of discomfort for most individuals. That level represents a sound and appropriate standard for discomfort and should be followed for the VANS sirens.A The actual sound levels likely to be received by members of the public from the VANS speakers is addressed below.
2/ The Mass AG refers the Board to its brief on the relevance of discomfort for an analysis of the legal issues presented by J application of the NUREG-0634 standard.
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III. SOUND COVERAGE /123 dBC LIMIT The Board, in its Memorandum and Order at 10, found the following two genuine issues of fact:
A.1-3. Whether Applicants sirens can provide adequate coverage if used at sound levels that ate not unduly uncomfortable, j i
A.1-4. Whether Applicants' position on the sound level resulting from their sirens is an underestimate because of sound reflection from buildings.
The Applicants have attempted to address these issues in two ways. First, they claim that the vertical directivity pattern of each of the Whelan WS 4000 (Dual) Sirens is such that no bystander could be exposed to sound greater than 123 dBC when the siren is raised to its full height (and would be minimally exposed at the 25 foot height). See Attachment H to Applicants' Direct Testimony. Second, they also claim that while sound reflections from buildings could increase listener l
exposure by up to 6 dB, this possibility "is of very limited concern" and need not be considered "[f] rom a planning standpoint." Applicants' Direct Testimony at 16-17.
An analysis of these claims begins with a review of Attachment H to the Direct Testimony entitled " Contours of Constant C-Weighted Sound Pressure Level at 550 Hz in Vertical Plane Near Whelen WS 4000 (Dual) Siren Mounted 45 ft. Above the Ground. This figure presents a matrix of sound pressure levels at 5 foot height and 10 foot distance intervals.
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The source of these. data is not explained, but appears to b'e a theoretical (or computer driven) estimate. The Audio Engineering Society and American National Standards Institute standards suggest the definition of directivity patterns based on actual sound level measurements. Apparently, no such measurements were taken here.
Moreover, Attachment H appears to ignore the ground reflection of siren sound. The effect of this reflection would be to increase siren sound levels by up to 2dB at 5 feet above the ground surface (ear height) at some locations and reduce _
t sound levels at others to produce a slightly fluctuating sound level as one proceeds away from the siren. This phenomenon would exist over sound reflective surfaces (including pavement, hard ground and short grass surfaces) likely to be predominant '
in residential or populated' areas. The phenomenon would not exist over densely wooded or rough terrain (especially with tall grasses or dense plant growth) areas. In short, Attachment H will underestimate sound levels at ear height for certain common areas by as much as 2dB.
At locations close to buildings, reflections of siren sound can also amplify sound levels by as much as 6dB. Eng Applicants' Direct Testimony at 16-17. The Applicants discount this as being "of very limited concern" because of the small -
area potentially effected and the supposed low probability that the recipient would be properly positioned or that necessary l
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i-atmospheric conditions would exist. In our view this discounting is'not appropriate. In fact, increased sound levels due to building reflection can and will occur at a number of areas and under all atmospheric conditions. In particular, several VANS locations have residences between approximately 150 and 300 feet from the acoustic locations.
Those distances correspond to the highest sound levels for the listener, according to Attachment H.
The Applicants go on to point to 5 factors which could effect the actual amount of the' building reflection increase.
Ege Applicants' Direct Testimony at 17. What they fail to point out, as they should, is that under most circumstances there will be at least a 3dB amplification and under many circumstances the amplification would be even greater.
Applicants' factor (5) implies that many building surfaces are sound absorptive. 'But, in fact most building surfaces are highly sound reflective. With respect to Applicants' factor (3), the-relative. distances between siren, structure and listener are important. Nevertheless, persons situated in front of building surfaces having line of sight to a siren will experience increased siren sound levels as a result of sound reflecting from building facades. When a siren is lined up perpendicular to a building facade, the area over which sound reflections cause the greatest amplification extends to a distance of approximately 1/2 of the shorter of the building
d height or width. Therefore, for a 3 story building with a height of 30 feet and a width greater than 30 feet the area of greatest amplification will extend to 15 feet from the building. In short, amplification due to building reflection is not theoretical only and should be addressed by the Board.
Accounting for ground and building reflections, siren sound levels in the vicinity of building surfaces having direct line of sight to sirens would be 3 to BdB higher (building reflection plus ground reflection) than estimated based on data ;
in Attachment H. If the speaker were at 25 feet above the ground, the sound levels received by members of the public would actually be between 134 dBC and 139 dBC, presuming the accuracy of Attachment H in the absence of either type of reflection. If the speaker were at 50 feet, the sound levels received by members of the public would actually be between 125 dBC and 130 dBC with the same presumption, put differently, siren sound levels at buildings would need to be shown in Attachment H as less than 115 to 120 dBC (123 dBC at 5 feet above the ground minus 3 to 8 dB) to ensure that the 123 dBC i limit is not reached for any particular recipient exposed to siren sound reflections. !
Assuming the siren speaker is at 50 feet above the ground, !
i the siren sound level would need to be redu'ced by 3 to 8 dB or to 126 to 131 dBC at 100 feet on axis. Assuming the speaker is at 25 feet above the ground, the siren sound levels would need 1
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A to be reduced by 11 toc 16 dB or to 118.to 123 dBC at 100 feet -)
I on axis.
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This could lead to-the conclusion'that siren sound: output should be tailored to account for buildings at (and even th'eit distances from)'each VANS acoustic location. Obviously, this would pose significant problems for managing the system. In d
our view, a prudent conclusion would be to reduce the 100 feet on, axis sound. levels to 123 dBC for the VANS sirens. We believe that this conclusion'is prudent because it accounts for less than maximum likely amplification associnted with building reflections and no ground reflections, but calls on the Board to assess sound levels at the 25 foot height which the i
Applicants should build into their procedure for meeting the 15 1
-i minute design objective. I The result of an 11 dB reduction from the 134 dBC level to 3 123 dBC level would be to reduce coverage by approximately 63% using calculations consistent with NYLE RESEARCH REPORT WR 88-9, Siren Ranging Model, dated April, 1988. The effect.of this reduction is depicted for 60 dBC and 70 dBC siren sound contours in Appendices 9 and 10 to the Affidavit of Thomas G. Bouliane submitted along with the Answer of Massachusetts Attorney General in Opposition to Applicants' Motion for Summary Disposition of Amended Contention on -
Notification System, dated October 11, 1988. Copies are attached hereto.
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IV. DISPATCH TIME / DRIVER RESPONSE In its Memorandum and Order at 20-21, the Board posed the
. question: "Over years of plant operation, how likely is it that each of the VANS operators will be actually available and alert (e,.92, not in the rest rooms, not away from post on break, not believing that the situation is a false alarm) at the time an alert message is received?" .The Board also.noted the " Applicants have misinterpreted the requirement for conservative calculations with rspect to dispatch time." The Board questioned both whether the Applicants' repetitious calculations built in a practice bias and whether the tests themselves "where the operators were aware that they would be repeatedly called, are a fair prediction of what would actually happen in an event with no forewarning." Memorandum and Order at 20.
The Applicants' responses to these inquiries appear in Implementing procedures 2.16, step 5.1.1 as well as pages 21-25 of their Direct Testimony. Their attempt to ensure driver readiness takes the following forms:
(a) training of. VANS operators in lp 2.16 and proper use of the equipment; (b) requiring VANS operators to perform daily non-emergency actions; (c) 24 hour2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> staffing with shifts of one supervisor, twenty primary VANS operators, and four backup VANS operators; 1
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(d) a rule that-VANS operators are not to leave their duty stati9n until relieved; (e). prioritized dispatch; and (f) the VACS system.
1 Notwithstanding the actions taken by the Applicants, the problems ~ alluded to by the Board, as well as similar problems, are real and likely to occur over time. The fundamental issue is that the' job of VANS operator is an excessively boring one.
Individuals, in_similar job circumstances to those here, typically find ways to alleviate their boredom which may well conflict with the objectives of the job. In this cose those-objectives are to be alert and ready to respond in a timely
-way. What makes this job particularly problematic is that.its most'significant function and indeed its very reason for being is to respond to a single signal which has a very low likelihood of occurence. In other words, job performance'is ultimately measured by the capacity to respond in a timely fashion to an event of extremely low probability.
This kind of issue has been studied'before in different i circumstances. Research on vigilance indicates that attention level declines over time in monotonous, monitoring tasks. For example, Bakan found that persons performing a vigilance task were unable to sustain continuous task concentration despite high motivation. (p. Bakan "An Analysis of Retrospective Reports Following An Auditory Vigilance Task," Viallance: A Symposium, ed. D.N. Buckner, J.J. McGrath (1963)) In this
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study, over two-thirds of the participants reported lapses in attention and making active attempts to combat drowsiness even J when highly motivated to perform the task well. These results, obtained in a brief vigilance task involving signal i presentations at a much more frequent rate than that presumed to occur for VANS operators, suggest that VANS operators will engage in activities to counteract boredom with varying degrees of success (e.g. telephone calls, going outside of the staging area, leaving the area altogether). As Bakan indicates, there are substantial individual differences in ability to sustain alertness over time in a monitoring task.
The manifestations of this boredom are likely to be absenteeism problems, engaging in non work-related activities, including leaving the staging areas for extended periods of time for activities which are not work-related. Over time, the routine, repetitive nature of the VANS operators daily duties are likely to result in a reduced desire to attend work relative to the desire to engage in non work activities.
Motivation to attend work, motivation to arrive at work on time and motivation to conduct work-related activities only is likely to decline over time relative to the motivation to engage in other activities.
This is complicated and becomes more problematic because of '
two additional tactors. First, there is a single VANS supervisor who is obviously not capable of effectively 1
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limitation on surveillance makes it more likely that off-site l
1 activities will occur. Second, the low probability of emergency action translates into a low perceived probability J l
that engaging in non work-related activites will result in negative consequences. Self regulation - in which the VANS operators would forego an immediate pleasing or personally important activity in favor of a long term negative outcome -
is substantially weakened when the likelihood that an emergency will occur is extremely low. In addition, the extremely low ,
probability occurrence of a true emergency means that VANS operatots may perceive the signal as a false alarm if it does occur, since they have come to expect that such a signal is not likely to occur. in short the boredom of this job coupled with the other factors mentioned above make it unrealistic to expect dispatch times over the life of the VANS system to be consistent with the tested dispatch times presented by the Applicants.
The steps taken by the Applicants will be effective in only limited respects. First, the training of VANS operators in implementing procedures and the proper use of equipment is procedural and cognitive, testing abilities and skills, and is not motivational. In short, it will do nothing to solve these -
problems. Second, requiring VANS operators to perform daily non emergency actions is helpful. However, the actions as l
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described in Implementing Procedure 2.16 appear to be limited in relation to the. total shift time of eight hours and will do little over the life of the system to mitigate these problems.
Third, the 24-hour staffing, prioritized dispatch and ,
i sophisticated' communication system are effective only to the extent that VANS operators remain at the staging areas. They will help to achieve a dispatch time consistent with the Applicants estimate if the VANS operators can be reached by the communications system or can return within 5 minutes (for purposes of a prioritized dispatch). These steps do nothing for VANS operators who come into work late or leave the site during the course of their work, both likely events over the ,
life of the system, as suggested by the Board. Moreover, the assumed dispatch time of 40 seconds is so limited (and in some respects speculative because the staging areas have not been I built) that it is doubtful the communications system or the prioritized dispatch will ensure compliance. For example, the prioritized dispatch itself proceeds from the hopeful asumption ,
that not only are all operators at the staging area but all but one operator is in a position to respond immediately. Finally, the Applicants rely on the apparently' barren rule that VANS operators remain at the station until they are relieved. It is j_ well settled based on a number of studies of similar jobs that -
only if there ate recognized negative consequences of breaking that rule will it be honored. Nothing filed by the Applicants j suggest that that would be the case.
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NRIIE.LCAIl0H_REQIIIEEMENI The Board noted that the " Applicants conclusion that they can complete initial notification in the.non-winter months in 14 minutes and 50 seconds does not permit any accommodation for EBS or other instructional messages.." MemoransluitLanil_OJJigr at-23.
The Board goes on to say "there is a genuin~e issue of fact concerning how much time should be added for this notification function," and significantly notes that a person must hear.the signal before tuning in, not all will hear it at the same time, not all will tune in their radio immediately, or tune in at the beginning of a broadcast. As the Board notes, the " question is apparently not simple." Id.
The Applicants hope to satisfy this concern by simultaneous activation of tha sirens and the EBS broadcast. Applicants' Direct Testimony at 30-31. They imply that the time to read the EBS message should not '" count" for. purposes of the 15 minute requirement because of the simultaneous broadcast.
While the procedure of simultaneous activation, three plays of the initial message plus additional repetitions at 15 minute intervals is acceptable, the conclusion the Applicants draw from it, in terms of the 15 minute requirement, is not. The 1
substance of the requirement is to provide an alert signal and an informational and instructional message within 15 minutes.
See NUREG-0654 at 3-3. Under their scheme, the Applicants assume that the population is ready at hand to treat the siren,
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iDieroret its meaning, has immediate access to a working radio, immediately tunes .in to hear the message and hears a full EBS
-message. This is all supposed to occur for the Massachusetts' EPZ population within the three minute alert signal period. It cannot happen.
As an initial matter, unless three of the four conditional occur immediately, an obviously impossible event for all of the population, the population which quickly tunes into the EBS station will do so into the first run of the message, since anyone tuning in after the siren has started will not-hear the:
1 first full message. The next repetition will not end until at least one minute after the siren sounding.is complete, assuming 2 minute EBS messages, as the Applicants do. Therefore, except for the proportion of the population listening to the EBS stations at the time of siren activation, notification will not be complete for members of the population until at least 1 minute after the siren sounding is complete. In fact, an analysis of the four conditions listed above leads to the conlusion that the notification process for a substantial ,
i portion of the population will not be complete until efter I that. It should be noted that these are four conditions that j must obtain for the Applicants system to succeed in the time i
they set forth. One can legitimately question all four, and I l
any one of them can significantly postpone notification for a substantial portion of the population.
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.. ..w Taking.each in turn,-the first question is whether;the-l '
sirens will.actually be heard. Examples'of potential troblems-are limitless. They all stem from the fact that substas.'.ial
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. numbers of the population will be in settings where the siren sound will'not reach immediately.
Take-the example of two elderly people living a few hundred i
yards from Unit 2 at Three Mile Island, during the emergency there. They had to sleep in shifts, one awake, the other asleep, becaure they could not be sure that the plant siren would wake them up. (Edward Walsh, Democracy in the Shadows;
- Citig.en_ Mobilization in the Make of the Accident. at Three Mile .
Island, Westport, Greenwood Press, 1988, p. 43. This chapter details the unexpected inteiictions of small failures during the emergency evacuation.)
'i The second question is whether the signal will be interpreted correctly. A good deal of psychological research has demonstrated that people place stimuli such as a siren or a warning into a context or " frame;" and the frame, not the signal, determines whether it will be interpreted correctly, o r.
even attended to. This is particularly true for novel, unexpected and potentially ambiguous signals. (See the collection of articles in Daniel Kahneman, Paul Slovic and Amos Tversky, Judaement under Unc.ertainty; lle_Ulistics and DiaSES, Cambridge, Cambridge University Press, 1982.)
This particular problem is compounded by the fact that residents will likely have experience hearing other sirens e
. ..r 4-(police, fire engine, ambulance, noon siren, air raid tests).
The nuclear plant siben-is a relatively-long one and it is reasonable to expect that those who hear it will eYantuallZ q l
distinguish it from others. The point is that one of the means- !
of doing so is the langth of the signal. This means that one ;
canfexpect a substantial portion of the population to properly interpret the signal (and take the necessary subsequent actions), well into (or even after the completion of) the siren.
A question related to that of interpretation is whether the population will act appropriately once the siren is recognized for what it is. It-is assumed that the Applicants' public information calendar is completely distributed. The problem is that, particularly over the life of the Seabrook plant, much of the population will forget what to do upon hearing the sirens l and will-long since have forgotten where the emergency information is.
Next, there is the question'of whether the persons hearing the siren have immediate access to e radio. Activities in the l
l area are likely to have many residonts away from the house, and 1
most certainly more than an armle'igth from the radio. If they get back to the house and tune ir. the radio just three minutes 1
after the siren finishes, they will have missed all three l initial broadcasts of the message. Access to the radio -
(assuming that every necessary radio is working) must be l
virtually instantaneous to stay within the 15 minute period l t
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under.the Applicants' assumptions. Ironically, the Applicants ,
l allow for VANS' operators occasionally to be " indisposed," but E
, never for the public to be so.
1 Compounding the problematical nature of these steps is the presence of anxiety, fear or panic. Under' time pressures-that people would be very aware of, we can expect strong psycholog.ical reactions that have counter productive consequences. The literature on stress is clear on that, and more limited literature on the role of time pressures in carrying out tasks or making decisions, also suggests that decisions and abilities decay under these pressures'.
Under the. stress of an emergency, the consequences for decision making by the citizens could be substantial, given the-degradation of decision quality under time pressure reported in the literature. (E.g., Dan Zakay and Stuart Wooler, " Time pressure, training and decision effectiveness," Eraonomics, 1984, vol. 27, no. 3, 273-84, who cite six studies to the effect that "under stress, cognitive functioning and
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decision-making processes deteriorate." page 275). Time- )
pressures in particular result in suboptimal decision making, and can even remove the advantage of training, as is indicated I
by three additional studies (cited by Zakey and Wooler. Een i
alsn the review by paul Slovic, " Judgment and decision making ) ;
l in emergency situations," Eugene, Ore., De* cision Research, l
February 1988 who cites an additional six studies on time 1 l
pressures and the decay in optimal decision making.) )
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The' reason for this' concern is'that unusual stimuli are 1 i
inherently ambiguous. Sirens are rare, but also used for .
h l diverse. things, making their meaning on the rare occasion'they 'I are heard. ambiguous. An emergency sounding may be perceived as "just a' test." Even if recognized'as emanating from a Seabrook' siren the Applicants assume :that every message will be interpreted immediately and correctly. If it is acknowledged-
.that there might be errors in the operation'of the plant, it should be acknowledged that an untrained population two or ten or twenty' years into Seabrook's operation might make errors regarding the sirens. No matter how tighly run nuclear plants may be, daily life is full of errors and delays and
. misunderstandings. This is particularly evident when unexpect'ed and unfamiliar events occur, and most particularly
'I when they raise expectations of danger.
As can be seen, none of this is capable of precise quantification. It does, however,. support the conclusion that a substantial portion'of the population.will not hear a full EBS message during the siren ' activation. 'The Applicants' conclusions, therefore, are erroneous. We suggest that the most prudent way to calculate the time to complete the initial l
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notification is to assume that notification is completed when j l
the initial series of three EBS messages, with at least one 'I l
full message broadcast after the siren activation is completed, ceases.
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MAPS PROVIDED ONLY TO BOARD, NRC STAFF, AND APPLICANTS i
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UNITED STATES OF AMERICA '
NUCLEAR REGULATORY COMMISSION
~89 APR 24 P3 :50
) bue In the Matter of ) Docket Nos. 50-443-OL-1i
) 50-444-OL-1 PUBLIC SERVICE COMPANY )
OF NEW HAMPSHIRE, EI AL. )
)
(Seabrook Station, Units 1 and 2) ) April 21, 1989
)
CERTIFICATE OF SERVICE I, Stephen A. Jonas, hereby certify that on April 21, 1989, I made service of the within Mass AG Brief On Relevance Of Discomfort, Mass AG Direct Testimony Regarding Prompt Alert And Notification System Issues, and Mass AG's Supplemental Answer To Applicants' Expert Witness Interrogatories, by First Class Mail, or by Federal Express as indicated by [*], or by Hand Delivery as indicated by [**] to:
- Peter Bloch, Chairman *Dr. Emmeth A. Luebke Atomic Safety & Licensing Board 5500 Friendship Boulevard U.S. Nuclear Regulatory Commission Apartment 1923N Washington, DC 20555 Chevy Chase, MD 20815 1
Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission .
U.S. Nuclear Regulatory Office of General Counsel )
Commission 11555 Rockville Pike i Washington, DC 20555 Rockville, MD 20852 Docketing and Service ** Thomas G. Dignan, Jr.
U.S. Nuclear Regulatory Commission Ropes & Gray Washington, DC 20555 One International Place Boston, MA 02110 i
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. .. 98 H. Joseph Flynn, Esq. Atomic Safety & Licensing Assistant General Counsel Appeal Board ,
Office of General Counsel U.S. Nuclear Regulatory Commission Federal Emergency Management Washington, DC 20555 l j
Agency 4 500 C Street, S.W. I Washington, DC 20472 f
Robert A. Backus, Esq. Atomic Safety & Licensing Board Backus, Meyer & Solomon U.S. Nuclear Regulatory Commission-116 Lowell Street Washington, DC 20555 P.O. Box 516 Manchester, NH 03106 Jane Doughty Dianne Curran, Esq.
Seacoast Anti-Pollution League Harmon, Curran & Towsley i Five Market Street Suite 430 i Portsmouth, NH 03801 2001 S Street, N.W. !
Washington, DC 20008 Barbara St. Andre, Esq. Judith Mizner, Esq. 1 Kopelman & Paige, P.C. 79 State Street 77 Franklin Street {
Second Floor i Boston, MA 02110 Newburyport, MA 01950 Charles P. Graham, Esq. R. Scott Hill-Whilton, Esq.
Murphy & Graham Lagoulis, Hill-whilton & Rotondi 33 Low Street 79 State Street.
Newburyport, MA 01950 Newburyport, MA 01950 Ashod N. Amirian, Esq. Senator Gordon J. Humphrey 145 South Main Street U.S. Senate P.O. Box 38 Washington, DC 20510 Bradford, MA 01835 (Attn: Tom Burack)
Senator Gordon J. Humphrey George Dana Bisbee, Esq.
One Eagle Square, Suite 507 Assistant Attorney General Concord, NH 03301 Office of the Attorney General q (Attn: Herb Boynton) 25 Capitol Street j Concord, NH 03301 Phillip Ahrens, Esq.
Assistant Attorney General Department of the Attorney General Augusta, ME 04333 i
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William'S, Lord Board'of Selectmen 1 Town Hall.- Friend Street Amesbury, MA' 01913 Respectfully submit'ted,-
1 JAMES'M. SHANNON ATTORNEY GENERAL Step 6en A.onas-J Deputy Attorney General ~ ..
Chief, Public Protection Division one Ashburton Place-Boston, MA' 02108 (617) 727-2200 Dated: April 21, 1989