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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217E0881999-10-18018 October 1999 Order (Granting Discovery Extension Request).* Board of Commission of Orange County 991013 Motion for Extension of 991031 Discovery Deadline,Granted,In That Parties Shall Have Up to 991104.With Certificate of Svc.Served on 991018 ML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20216E2041999-07-29029 July 1999 Memorandum & Order (Granting Request to Invoke 10CFR Part 2, Subpart K Procedures & Establishing Schedule).* Board Grants Carolina Power & Light Co 990721 Request to Proceed Under Subpart K.With Certificate of Svc.Served on 990730 ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20209D1791999-07-12012 July 1999 Memorandum & Order (Ruling on Standing & Contentions).* Grants Petitioner 990212 Hearing Request Re Intervention Petition Challenging CP&L 981223 Request for Increase in Sf Storage Capacity.With Certificate of Svc.Served on 990712 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20196A8751999-06-22022 June 1999 Order (Corrections to 990513 Prehearing Conference Transcript).* Proposed Corrections to Transcript of Board 990513 Initial Prehearing Conference Submitted by Petitioner & Application.With Certificate of Svc.Served on 990622 ML20207D6991999-05-27027 May 1999 Orange County Proposed Corrections to Transcript of 990113 Prehearing Conference.* Orange County Submits Proposed Corrections to Transcript of Prehearing Conference of 990513.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20206R8731999-05-20020 May 1999 Memorandum & Order (Transcript Corrections & Proposed Restatement of Contention 3).* Any Participant Wishing to Propose Corrections to Transcript of 990513,should Do So on or Before 990527.With Certificate of Svc.Served on 990520 ML20206R2411999-05-13013 May 1999 Transcript of 990513 Prehearing Conference in Chapel Hill,Nc Re Carolina Power & Light Co.Pp 1-176.Supporting Documentation Encl ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20206G4051999-05-0505 May 1999 Applicant Answer to Petitioner Board of Commissioners of Orange County Contentions.* Requests That Technical Contentions in Section III & Environ Contentions in Section IV Not Be Admitted.With Certificate of Svc ML20206F9491999-05-0505 May 1999 NRC Staff Response to Orange County Supplemental Petition to Intervene.* None of Petitioner Proposed Contentions Meet Commission Requirements for Admissible Contention.Petitioner 990212 Request Should Be Denied.With Certificate of Svc ML20206A0851999-04-22022 April 1999 Erratum to Orange County Supplemental Petition to Intervene.* Citation to Vermont Yankee LBP-87-17,should Be Amended to Read Vermont Yankee Nuclear Power Co (Vermont Yankee Nuclear Power Station).With Certificate of Svc ML20205Q8121999-04-21021 April 1999 Order (Granting Motion to Relocate Prehearing Conference).* Initial Prehearing Conference Will Be Held in District Court of Orange County Courtroom,Chapel Hill,Nc on 990513 as Requested.With Certificate of Svc.Served on 990421 ML20196K8771999-04-0505 April 1999 Orange County Supplemental Petition to Intervene.* Informs That Orange County Contentions Should Be Admitted for Litigation in Proceeding ML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20205E3101999-04-0101 April 1999 Memorandum & Order (Protective Order).* Grants 990326 Motion of Petitioner for Approval of Proposed Protective Order to Govern Use & Dissemination of Proprietary or Other Protected Matls.With Certificate of Svc.Served on 990203 ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc 1999-09-08
[Table view] Category:OTHER LEGAL DOCUMENT
MONTHYEARML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20204E8591999-03-17017 March 1999 Notice of Change of Address.* Counsel Gives Notice as of 990329 of Mailing & e-mail Address That Will Change as Listed ML20209A8631987-01-29029 January 1987 Second Suppl to Licensee Response to Cash/Eddleman Show Cause Petition.* Forwards 870128 Affidavit of JW Mckay,Which Amends Previous Affidavit,Filed W/Original Response,To Make Minor Correction ML20207M0501987-01-0606 January 1987 Suppl to Licensee Response to Cash/Eddleman Show Cause Petition.* Certificate of Svc Encl ML20214R6261986-09-19019 September 1986 Notice of Change of Address for Shaw,Pittman,Potts & Trowbridge,Effective 860927.Certificate of Svc & Svc List Encl.Related Correspondence ML20207H8281986-07-21021 July 1986 Notice of Appeal & Request for Review of Aslab 860711 Memorandum & Order Denying 860609 Motion to Stay Immediate Effectiveness & Petition to Intervene & Motion for Extension of Time to File Brief ML20206P7081986-06-23023 June 1986 Resolution by Raleigh Merchants Bureau,Inc Supporting Util Efforts to Obtain License to Operate Plant at Earliest Date Possible.Served on 860630 ML20211D8791986-06-0909 June 1986 Comments on Immediate Effective Review of Final Licensing Board Decision Urging Review of Issues Raised on Appeal of Partial Initial Decisions on Environ,Mgt & Safety Matters & Final Decision on Drug Abuse & Emergency Planning ML20199E7241986-06-0606 June 1986 Discusses Secret Witness Inability to Obtain Ofc of Investigations Rept on Harassment Allegations.Witness Should Be Allowed Copy of Rept to Review.Certificate of Svc Encl ML20211D7601986-06-0606 June 1986 Rept Per ASLB Order on Harassment Allegations Re Secret Witness.Witness Unable to Obtain Ofc of Investigation Rept on Secret Witness Allegations.Served on 860609 ML20197K2041986-05-16016 May 1986 Memorandum for Parties Discussing Runkle Ability to File Timely Reply to Contention WB-4 Responses by 860526.Eddleman Not in Position to Reply for Runkle on Good Cause for Late Filing Issue.Served on 860519 ML20197J9621986-05-13013 May 1986 Response Opposing Reopening of Record to Accept late-filed Contention WB-4 Proferred by W Eddleman & Conservation Council of North Carolina Re Systematic Falsification of Radiation Exposure Records.Certificate of Svc Encl ML20204A4961986-05-0808 May 1986 Notice of Appeal from ASLB Final Decision Served on 860428. Certificate of Svc Encl ML20204A4091986-05-0808 May 1986 Comments Re Immediate Effectiveness Issue.Application of 10CFR2.764(f)(2)(i) Criteria Does Not Warrant Withholding of Immediate Effectiveness of Board Decision.Certificate of Svc Encl ML20197C2641986-05-0808 May 1986 Comments on Immediate Effectiveness Issue.Issue Which Intervenors Placed in Controversy in Proceeding Carefully Examined by Aslb.Requests Opportunity to Be Heard If Commission Entertains Issuance of Stay.W/Certificate of Svc ML20204A4641986-05-0707 May 1986 Notice of Appeal of ASLB 860428 Final Decision LBP-86-11.All Matters in Proceeding Unresolved,Particularly late-filed Contention Alleging Falsification of Dosage Records. Certificate of Svc Encl ML20154L2401986-03-0101 March 1986 Notice of Change of Address for Svc of Documents in Proceeding Effective on 860301 ML20205K5271986-02-24024 February 1986 Supplemental Brief Re Contentions 16,17 & 18 on Adequacy of Water Sampling Procedures at Various Sample Points. Certificate of Svc Encl ML20205K5931986-02-24024 February 1986 Response to Aslab 860205 Question Re Conservation Council of North Carolina Contentions 16,17 & 18 on Util Environ Monitoring Program.Doctrine of Collateral Estoppel Bars Litigation of Contentions ML20151Y7991986-02-10010 February 1986 Memorandum Addressing Objections to Chairman 860110 Order Re Ex Parte Communication.Administrative Procedure Act Provision Requires That Miriello Be Treated as Ex Parte Communication.Served on 860212 ML20137P0331986-01-30030 January 1986 Supplemental Brief Responding to Questions Re Ocean Dumping, Per Appeal Board 860109 Order.Intervenor Claims Right to Hearing to Request Prohibition on Ocean Dumping of Facility Radwaste ML20140D1821986-01-21021 January 1986 Exceptions & Objections to 860110 Order Re Ex Parte Communication.P Mirello Expressed Intent to Keep Confidential.Neither Branch of Ex Parte Communication Test Reached.W/Certificate of Svc ML20140C5981986-01-21021 January 1986 Exceptions & Objections to 860110 Order & P Miriello Served on Parties to Proceeding.Svc of Ltr on Applicant Allows Opportunity to Destroy Incriminating Evidence Re Allegations in Ltr.Certificate of Svc Encl ML20141F8551986-01-0606 January 1986 Notice of 860205 Oral Argument on Appeals of Conservation Council of North Carolina & W Eddleman from ASLB 850820 Partial Initial Decision in Bethesda,Md.Served on 860107 ML20136F6251986-01-0202 January 1986 Proposed Corrections to Page 9,650 of Transcript of 851105 Evidentiary Hearing ML20151P2081985-12-30030 December 1985 Response to ASLB 851209 Order Re Arrangements for Medical Svcs for Contaminated,Injured Individuals.Eddleman Contention 57-C-7 Remains Dismissed Due to Lack of Requisite Specificity to Be Litigable.Certificate of Svc Encl ML20138R2521985-12-27027 December 1985 Memorandum Re Denial of Subpoenas for Intervenor Witnesses. ASLB Fails to See How Single Nonexpert Witness Residing in Emergency Planning Zone Can Contribute to Resolution of Issues.Served on 851230 ML20138R0921985-12-23023 December 1985 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20137L9681985-11-26026 November 1985 Identifies Various Exhibits Which Applicant,Nrc & FEMA Have Agreed May Be Admitted to Record & Exhibits Not Agreed to ML20138L3441985-10-25025 October 1985 Certifies Svc of Encl RG Black & CS Wingo & Oversize Drawing Entitled Revised 60 Dbc Coverage within Emergency Plan Zone of Shearon Harris Nuclear Power Plant, on 851025.Related Correspondence ML20138B3901985-10-10010 October 1985 Notice of Evidentiary Hearing on Eddleman Contention 57-C-3 on 851104 in Raleigh,Nc & Second Hearing on Conservation Council of North Carolina Contention WB-3 on 851102.Served on 851011 ML20133B0761985-09-30030 September 1985 Requests Extension of Time to File Brief in Appeal of 850828 Partial Initial Decision on Some Safety Matters. Granted for Aslab on 851001.Certificate of Svc Encl ML20133B2091985-09-30030 September 1985 Request for Extension of Time to File Brief in Appeal of 850828 Partial Initial Decision on Some Safety Matters. Request Based on Stated Facts ML20134M0821985-08-31031 August 1985 Notice of Appeal from 850820 Partial Initial Decisions on Safety Contentions,Including Partial Initial Decision & ASLB Orders Granting Summary Disposition & Excluding Safety Contentions from Litigation.Certificate of Svc Encl ML20134Q2411985-08-30030 August 1985 Notice of Change of Address for Svc of All Documents. W/Certificate of Svc.Related Correspondence ML20134H1961985-08-23023 August 1985 Comments on Board 850805 Request for NRC Views Re Impairment of NRC Ability to Obtain Safety Info If Eddleman 850619 FOIA Request Granted.Certificate of Svc Encl ML20133B4121985-08-0505 August 1985 Request for NRC Views Re Guild 850619 FOIA Request for Documents About Safety Concerns of Employees at Facility & Applicants Objections to Disclosure.Response to Listed Questions Due by 850823.Served on 850805 ML20126K9891985-07-29029 July 1985 Notice of 850828 Oral Argument in Bethesda,Md Re Appeal of Conservation Council of North Carolina & W Eddleman from ASLB 850220 Partial Initial Decision.Served on 850729 ML20127N3251985-05-20020 May 1985 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20108F4081985-03-0505 March 1985 Notice of Appeal of ASLB 850220 Partial Initial Decision on Environ Contentions,All Other Orders & Rulings,Granting of Summary Disposition of Various Contentions & Denial of W Eddleman 10CFR2.758 Petition.Certificate of Svc Encl ML20107G2011985-02-21021 February 1985 Notice of W Eddleman Submittal of Ee Utley,Ma Mcduffie, HR Banks,Jm Johnson,A Fuller & Re Lumsden 850227 Depositions in Raleigh,Nc Re Eddleman Contention 41-G.Certificate of Svc Encl.Related Correspondence ML20101T0121985-02-0101 February 1985 Applicant Notice of Intention to Take Deposition of C Van Vo on 850226 in Raleigh,Nc.Certificate of Svc Encl.Related Correspondence ML20112J8371985-01-14014 January 1985 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20101F0261984-12-21021 December 1984 Comments on Cv Vo/Util Settlement Including Dept of Labor Claim of Inability to Substantiate Cv Vo Allegations. Certificate of Svc Encl ML20093D9361984-10-0808 October 1984 Notice of Intent to Pursue Negotiations & Motion to Compel Discovery Against FEMA on 840928 Responses.Related Correspondence ML20093D6561984-10-0808 October 1984 Memorandum of Law in Support of Motions for Summary Disposition of Eddleman Emergency Planning Contentions 144 & 154 1999-07-16
[Table view] |
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\ m ,7 MA A3,1986 ' '/
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
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BEFORE TIIE ATOPIIC SAFETY AND LICENSING DOARD ] @*.y ..;
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In the f.latter of )
) 'N s2 CAROLINA POWER AND LIGIIT )
COMPANY AND NORTH CAROLINA ) Docket No. 50-400 OL EASTERN f.fUNICIPAL POWER )
AGENCY )
)
(Shearon Harris Nuclear Power Plant, )
Unit 1) )
NRC STAFF RESPONSE IF OPPOSITION TO REOPENING TFE RECORD AND ACCEPTING A CONTENTION PROFFERED BY WELLS EDDLEMAN AND CCNC BASED UPON AF APRIL 3,1986 AFFIDAVIT OF PATTY S. MIRIELLO I. INTRODUCTION IIcarings on all admitted contentions in this Operating License proceeding were concluded on March 5,1986. On April 2ll, 1986, over a month after termination of the hearings, CCNC and Wells Eddleman proffered a new contention that radiation exposure records at Applicant's Brunswick and Robinson nuclear stations have been systematically falsified. The Staff's opposition to admission of this late contention folfows.
II. DISCUSSION A. NRC Standards Applicable To The Proffered Contention In order for Intervenors' proffered contention relating to the Patty S. Miriello Affidavit to be admitted as a matter in controversy in this proceeding, it must satisfy three standards. First, the contention must sctisfy the Commission's requirement that the basis for the contention be 8605200220 860513 PDR ADOCK 05000400 0 PDR
set forth with reasonable specificity. 10 CFR I 2.714(b). Second, since it is a late filed contention, under the Commission's decision in Duke Power Company et al. (Catawba Nuclear Station , Units 1 and 2),
C LI-P,3-19 , 17 NRC 1041 (1983), balancing of the five factors of 10 CFR I 2.714(a) mu st favor admission of the contention. Third , since the henring record has now been completed, the proffered contention must satisfy the Commission's criteria for reopening the record, most recently discussed in Cleveland Electric Illuminating Company et al. (Perry Nuclear Power Plant, Units 1 and 2), CLI-86-7, 23 NRC (April 18,1986) Slip Op.
In order for the proposed contention to be found admissible, it must fall within the scope of the issues set forth in the Notice of Hearing initiating the Proceeding, O and comply with the requirements of 10 CFR I 2.714(b) and applicable Commission case law . Northern States Power Co. (Prairio Island Nuclear Generating Plant, Units Nos. I and 2),
A L A B-107, G AEC 188, 194 (1973), aff'd BPI v.
Atomic Energy Commission, 502 F.2d 424, 429 (D.C. Cir. 1974);
Duquesne Light Co. (Peaver Valley Power Station , Unit No. 1),
1 ALAB-109, 6 AEC 242, 245 (1973). Under 10 CFR I 2.714(b) a petitioner for intervention in a Commission licensing proceeding must file a supplement to its petition:
. . . [w]hich must include a list of the contentions which petitioner seeks to have litigated in the matter, Public Service Co. of Indiana, Inc. (f.larble I!ill Nuclear Generating
-1/
Station, Units 1 and 2), A LA B-316, 3 NRC 167, 170 (1976). See also, Commonwealth Edison Company (Carroll County Site),
A L A B-601, 12 NRC 18, 24 (1980); Portland General Electric Co.
(Trojan Nuclear Plant), ALAB-534, 9 NRC 287, 289-290, n. 6 (1979).
and basis for each contention set forth with reasonable specificity.
The purpose of the basis requirements of 10 CFR I 2.714 are (1) to assure that the contention in question raises a matter appropriate for litigation in a particular proceeding, b (2) to establish a sufficient foundation for the contention to warrant further inquiry into the subject matter addressed by the assertion and, (3) to put the other parties suffi-ciently on notice "... so that they will know at least generally what they will heve to defend against or oppose." Peach Bottom, supra at 20.
From the standpoint of basis, it is unnecessary for the petition to detail the evidence which will be offered in support of each contention.
f.11ssissippi Power & Light Co. (Grand Gulf Nuclear Station, Units 1 and
'? ) , A L A P-130, 6 AEC 423, 426 (1973). Furthermore, in examining the contentions and the bases therefor, a licensing board should not reach the merits of the contentions. Houston Lighting and Power Company
( Allens creek Nuclear Generating Station,~ Unit 1), ALAB-590, 11 NRC 2/ A contention must be rejected where:
(a) it constitutes an attack on applicable statutory requirements; (b) it challenges the basic structure of the Commission's regulatory process or is an attack on the regulations; (c) it is nothing more than a generalization regarding the intervenor's views of what applicable policies ougrht to be; (d) it seeks to raise an issue which is not proper for adjudication in the proceeding or does not apply to the facility in question; or (c) it seeks to raise an issue which is not concrete or litigable.
Philadelphia Electric Co. (Peach Bottom Atomic Power Station, Units if and 3). ALAB-216, 8 AEC 13, 20-21 (1974).
542, 548 (1980); Duke Power Co. (Amendment to Materials License SNM-1773 - Transportation of Spent Fuel From Oconee Nuclear Station for Storage at .McGuire Nuclear Station). A L AB-528, 9 NRC 146,151 (1979);
Peach Bottom, supra, at 20; Grand Gulf, supra at 426.
As the Appeal Board instructed in Alabama Power Company (Joseph I M. Farley Nuclear Plant, Units 1 and 2), ALAB-182, 7 AEC 210, 216-217 (1974), in assessing the acceptability of a contention as a basis for granting intervention:
[T]he intervention board's task is to determine, from a scrutiny of what appears within the four corners of the contention as stated, whether (1) the requisite specificity exists; (2) there has been an adequate delineation of the basis for the contention; and (3) the issue sought to be raised is cognizable in an individual licensing proceeding. (Footnotes omitted)
Thir cpplies equally to a contention proffered by an intervenor as well as by a petitioner to intervene. If a contention meets these criteria, the contention provides a foundation for admission " irrespective of whether resort to extrinsic evidence might establish the contention to be insubstantial." 3,/ The question of the contention's substance is for later resolution - either by way of R 2.749 summary disposition prior to the evidentiary hearing or in the initial decision following the conclusion of such a hearing. Farley , supra, 7 AEC at 217. Thus, it is incumbent upon l'!r. Eddleman and CCNC to set forth their proffered Contention
-3/ Farley, supra, at 217. In addition, the proposed contention should refer to and address relevant documentation, available in the public domain , which is relevant to the Harris plant and the proffered contention. See, Cleveland Electric Illuminating Company, et al.
(Perry Nuclear Power Plant, Units 1 and 2), LBP-81-24, 14 N P.C 175, 181-184 (1981).
~
h'B-4 and the bases therefore with sufficient detail and specificity to demonstrate that the issue they purport to raise is admissible.
On June 30, 1983 the Commission, reviewing ALAB-687,16 NRC 460 (1982), issued its decision in Duke Power Company et al. (Catawba Nuclear. Station, Units 1 and 2), CLI-83-10,17 NRC 1041 (1983). This decision considered the standards to be applied to contentions premised upon information contained in licensing-related documents not required to be prepared early enough so as to enable an intervenor to frame contentions in a timely manner in accord v'ith the provisions of 10 C.F.R.
I 2.714(b). In Catawba the Commission determined that it is reasonable to cpply the late-filing criteria in 10 CFR I 2.714(a)(1) and 'the Appeal Board's three-part test for good cause O ot contentions that are filed late liccause they depend solely on information contained in institutionally unavailable licensing-related documents. 5_/ Id. at 1045. Further, the Commicsfon determined that the institutional unavailability of a licensing-related document does not establish good cause for filing a contention late if information was otherwise available cerly enough to provide the basis for timely filing of that contention. 6_/ ., at 1048.
17 NRC 1045. See also ALAB-687,16 HIIC 460, 469 (1982).
4_/
5/
~
The Commission believes that the five factors together are permitted by Section 180c cf the Act and are reasonable procedural require-ments for determining whether to admit contentions that are filed late because they rely solely on information contained in licensing-related documents that ~ were not required to be prepared or submitted early enough to provide a' basis for the timely formulation of contentions.
Id. at 1045,1050.
-6/
The Commission set out in its decision the fundamental principles upon which it bases its conclusion that Intervenors are required diligently to uncover and apply all publicly available information to the prompt formulation of contentions. M. at 1048-1050.
Although the Patty S. Miriello Affidavit is not a licensing-related document, the rationale of the Commission's decision and analysis applies here. !
The factors which must be balanced in judging the admissibility of a late-filed contention are:
(i) Good cause, if any for failure to file on time.
(ii) The availability of other means whereby the petitioner's interest will be protected.
(iii) The extent to which the petitioner's participation may reasonnbly be expected to assist in developing a sound record.
(iv) The extent to which the petitioner's interest will be represented by existing parties.
(v) The extent to which the petitioner's participation will broaden the issues or delay the proceeding.
10 C. F. R. I 2.714(a)(1) .
With respect to the good cause factor the Comrrission adopted the Appeal Dor.rd's test to determine whether good cause exists for late filing of a Contention. Catawba, supra , 17 NRC at 1045. Under that test good l
l cause exists if a contention: 1) is wholly dependent upon the content of a particular dccument ; 2) could not therefore he advanced with any degree of specificity (if at all) in advance of the public availability of that document; and 3) is tendered with the requisite degree of promptness once the docuraent comes into existence and is accessible for public exariination. d. at 1n43-1044. The Appeal Board has recently discussed the showing necessary to cause the third factor to weigh in favor of the admission of a late petitioner for leave to intervene.
Washington Public Power Supply System, et al. (WPPSS Nuclear Project No. 3), ALAB-747, 18 Ni1C, 1167 (1983). In WPPSS the Appeal Board
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reasserted a standard it had set forth in Mississippi Power & Light Co.
(Grand Gulf Nuclear Station, Units 1 and 2), ALAB-704, 16 NRC 1725, 1730 (1982).. As the Appeal Board stated:
Almost a year ago, we observed that, because of the importance of the third factor, "[w] hen a petitioner addresses this criterion it should set out with as much particularity as possible the precise issues it plans to cover, identify its prospective witnesses ,
and summarize their proposed testimony.
WPPSS, supra, 18 NPC at 1177. This standard is instructive in deternining whether an intervenor has satisfied the third factor with !
respect to a late-filed contention.
The Commission has recently reemphasized the importance of closely following the criteria when considering late-filed contentions.
Commonwealth Edison Company (Braidwood Station, Units 1 and 2),
CLI-86-08, 23 NRC , ( April 24,1986) Slip. Op.
The Commission again restated and reemphasized the importance of following appropriate criteria when considering reopening the record.
Cleveland Electric Illuminating Company (Perry Nuclear Power Plant, Units 1 and 2), CLI-86-07, 23 NRC ( April 10, 1986) Slip Op. at 2 states:
"The standards for reopening a closed record require consideration of three factors: (1) whether the motion to reopen is timely; (2) whether the information raiser a significant safety (or environmental) concern; and (3) the motion must demonstrate that a materfally different result would be or would have been likely had the newly proffered evidence been considered intitially. See, e.g. , Metropolitan Edison Co. (Three Mile Island Nuclear Station , Unit 1), CLI-85-2, 21 NRC 282, 311 (1985)."
It is against these standards that proffered Contention Y'B-4 must be analyzed.
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D. The Contention WD-4, The Standards, And The Miriello Affidavit Standards for Admissible Contentions The text of the proffered contention appears on page 1 of the CCNC/Eddleman filing. O The gravamen of the contention is in its first sentence - the radiation protection programs at Brunswick and Robinson are ineffective which for unspecified reasons calls. into question the ability to properly operate the Harris facility. Even assuming for purposes of this argument that the information provided to Ms. Miriello by CP&L concerning her exposure at Brunswick was incorrect, Intervenors do not make any connection between such information and the future operation of Harris or the radiation protection program at Harris. 8,/
Intervenors' statement " Radiation exposure records have been systemati-cally falsified. . ." is without any factual basis.
Intervenors simply make no reasonable connection between an error in informution provided to Ms. Miriello relating to Brunswick and future operation of I!arris. b In addition the contention alleges that the Robinson radiation protection program is deficient . However, Ms. Miriello's affidavit does 7/ " Request By CCMC And Wells Eddleman For Admission of New Contention WB-4 (Falsification of Exposure Record)," April 22, 1986.
8/ See Peach Bottom cited supra in footnote 2.
9/ Indeed the error in the August 20, 1985 letter was caught and corrected by CP&L which sent a corrected letter dated September 9, 1985 to Ms. Miriello. (Copy Attached)
r
,- , not allege .a defect or mistake at Robinson. Accordingly, the radiation health physics program at Robinson does not enter into consideration of WB-4.
Standards for I. ate-Filed Contention ,
Recognizing that this is a late-filed contention , the intervenors purport to address the five factors of 10 C.F.R. I 2.714(a).
(i) Good Cause For Failure To File On Time Intervenors state as good cause "...we have not had the specific basis with which to formulate a contention. The affidavit by Ms. Miriello and the facts contained within it. . . .did not reach us until early last
[ April 13-10] week." This is not correct.
On January 1, 1986, Ms. Miriello wrote a letter to Chairman Kelley setting forth a number of allegations. Iter letter requested confiden-tiality . The Chairman , pursuant to 10 C. F. R. I 2.780(b), served that letter upon the undersigned staff counsel, Mr. Runkle, counsel for CCNC for whom Ms. Miriello has previously appeared as a witness , and Mr. Baxter, counsel for Applicants. Ms. Miriello's Affidavit of April 3, 1986 provides specific details of her January 1, 1986 allegations of overt negligence in health physics practices at the Brunswick nuclear plant.
On January 21, 1986, Mr. Runkle made a filing protesting the Chairman's service of the January 1,1986 Miriello Ictter, b Item number 3 on page
-10/ " Exception And Objections To Order Dated January 10,1986" dated and served January 21, 1986. On January 20, 1986, the preceding day, Mr. Runkle wrote to each NRC Commissioner and enclosed his January 21,1986 finng.
3 makes it quite clear that fir. Runkle was aware that Ms. Miriello alleged
" questionable practices relating to health physics." Thus, it appears that CCNC . knew or should have known in January 1986 that Ms. Miriello was alleging inadequate health physics practices at Brunswick and yet did nothing until approximately 3 months later, after the hearing record had i
been completed. There is no good cause for Intervenors failing to file such a contention based on Ms. Miriello's assertions much earlier.
(ii) Intervenors' Interest CCNC's anr1 f.!r. Eddleman's have shown no interest in the Harris proceeding which is adversely affected by the information in the Piiriello l affidevit or in the proffered contention.
(iii) Developing A Sound Record There is no basis for concluding that further participation by PJs. Piiriello or Intervenors in this proceeding will assist in developing a sound record on the contention proffered.
(iv) Intervercrs' Interest Protected By Other Parties Other parties are not expected to protect interest of Intervenors in this proceeding. The NRC Staff, of course, has an ongoing regulatory I
and inspection program to assure compliance with Commission regulations.
r (v) Delaying The Proceeding Reopening the record now to admit Contention WB-4 would delay the proceeding.
Balancing the criteria for late-filed contentions does not favor admission of WD-4.
Standard for Reopening With respect to the criteria for reopening the record, the Intervenors again failed to satisfy applicable Commission standards.
As sct out above in the discussion of good cause, Contention WB-4 is untimely without good cause for such untimeliness. Contention WB-4 raises no significant safety or environmental concerns at Harris or in the Harris application for an operating license; and indeed, does not make any reasonable connection between the events enmplained of and the Harris proceeding. Lastly, Intervenors have offered no basis for concluding that if Contention WB-4 were admitted the Licensing Board would recommend that an ope *ating license not be issued. They have totally failed to satisfy the Commission's requirements for reopening the record as set forth in Perry, CLI-86-7 cited supra.
CONCLUSION For all of the above reasons, the Staff recommends that proferred Contention WB-4 not be admitted in this proceading.
Respectfully submitted,
! /
- t. Charles A. Barth Counsel for NRC S aff Dated at Bethesda, Maryland this 13th day of May,1986
r CarolinaPoweriLightCompany S!!!C Route 1, 8er 127 BesBill,porthCarolina27562 85/09/10 PAff!5IIRIELLO SocialSecurityla P.O.BOI28071 208-46-0985 RALEIG8 BC27611 SUBJt:f:RadiaticatiposurefereinationReport
DearIS.IIRIELLO:
ThisistoinforeyouoftheresultsofradiationsPosuresonitoringduring youresployHnt/VisitatCarolinaPover&LightCompanyfros 85/02/25to85/08/10.
EIftRIALIIP05092 DATA Period CP&L Dese(ree) free to Location Ibole body Skin Bands fut toploysent/ visit 85/02/25 85/08/30 Brunsvict Plant 6.029 0.033 EarrisE&ECenter RobinsonPlant BarrisPlant 0.000 0.000 CP&Lfotals 0.029 0.033 LatestQuarter 85/06/29 85/08/30 aronsvick Plant 0.029 0.033 Barris!&fCenter RobinsonPlant HarrisPlant 0.000 0.000 CP&Lfatals 0.029 0.033 Latestfear 85/01/01 85/08/30 Brunswict Plant 0.029 0.033 Barristi! Center RobinsonPlant HarrisPlant 0.000 0.000 CP&Lfotals 0.029 0.033 IIftRIALIIPOSUltDATA following is the sost recent body count data, taken on 85/08/0508:45:
Buclide Organ Ianocuries t of IP!3 Icelide Organ Ianocuries i of IFBB fotaliIFBB .0 ThisreportisfurnishedtoyouundertheprovisionofthefuelearRegulatoryCoseission regulation 10CTR 19. You shonld preserve this report for further reference. Future esployerssayrequirethisinforeation.
Verytrulyyours, Copies to ( ) Individual ,)f t
()IRC v{j VL &^hj'
()8E&EC 5.I.Croslin I fechnicalSpecialist HealthPhysics
r UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE Tile ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
. )
CAROLINA POWER AND LIGHT )
COMPANY AND NORTH CAROLINA ) Docket No. 50-400 OL EASTERN MUNICIPAL POWER )
AGENCY )
)
(Shearon Harris Nuclear Power Plant, )
Unit 1) )
CERTIFICATE OF SERVICE I hereby certify that copies of "NRC STAFF RESPONSE IN OPPOSITION TO REOPENIFG TIIE RECORD AND ACCEPTING A CONTENTION PROFFERED BY FELLS EDDLEMAN AND CCNC BASED UPON AN APRIL 3,1986 AFFIDAVIT OF PATTY S. MIRIELLO" in the above-captioned proceeding have been served on the following by deposit in the United States mail first class, or (*) through deposit in the Nuclear Regulatory Commission's internal mail system, this 13th day of May , 1986 :
James L. Kelley, Chairman
Administrative Judge 729 Hunter Street Atomic Safety and Licensing Board Apex, NC 27502 U.S. !!uclear Regulatory Commission Washington, DC 20555 Mr. Glenn O. Bright
Ac'ministrative Judge 723 W. Johnson Street Ato'mie Safety and Licensing Board P.O. Box 12643 U.S. Nuclear Regulatory Commissien Raleigh , NC 27605 Washington, DC 20555 Dr. James 11. Carpenter
- Dr. Linda Little Administrative Judge Governor's Waste Management Building Atomic Safety and Licensing Board 513 Albermarle Building U.S. Nuclear Regulatory Commission 325 North Salisbury Street Washington, DC 20555 Raleigh, NC 27611 Daniel F. Read John Runkle, Esq. Executive Coordinator CIIANGE Conservation Counsel of North Carolina P.O. Box 2151 307 Granville Rd.
Raleigh, NC 27602 Chapel Hill, NC 27514
O o
Steven Rochlt.s, Esq. H. Joseph Flynn, Esq.
Regional Counsel Associate General Counsel FEMA Office of General Counsel 1371 Peachtree Street, N.E. FEMA Atlanta, GA 30300 . 500 C Street, S.W. Rm 840 Washington, DC 20472 Atomic Safety and Licensing Appeal Bradley W. Jones, Esq.
Board Pancl* Regional Counsel, USNRC, Region II U.S. Nuclear Regulatory Commission 101 Marietta St. , N.W. Suite 2900 Washington, DC 20555 Atlanta, GA 30323 Robert P. Gruber Executive Director Thomas A. Baxter, Esq.
Public Staff - NCUC John H. O'Neill, Jr. , Esq .
P.O. Box 001 Shaw, Pittman, Potts & Trowbridge Raleigh, NC 27002 1800 M Street, N.W.
Washington, DC 20036 Wells Eddlemen Atomic Safety and Licensing Board s .2 Yancy Street Panel
- Durham, NC 27701 U.S. Nuclear Regulatory Commission Washington, DC 20555 Itichard E. Jones, Esq. H . A. Cole , Jr. , Esq.
Vice President and Senior Counsel Special Deputy Attorney General Carolina Power & Light Company P.O. Box 629 411 Fayetteville Street Mall Raleigh, NC 27601 Raleigh, NC ?7602
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'[ u peary S Mizunn Counse for NRC Staff
. -