Motion to Reconsider Portions of ASLB 840322 Memorandum & Order,Overruling Objections to Untimely Filed Rebuttal Testimony.Aslb Has Placed Interest in Complete Record Above Statutory Interests of Proceedings.W/Certificate of SvcML20088A055 |
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04/06/1984 |
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Bay J COMMITTEE TO BRIDGE THE GAP |
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NUDOCS 8404100486 |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20247Q7371989-07-28028 July 1989 Order Authorizing Dismantling of Facility & Disposition of Component Parts ML20211Q3021986-07-14014 July 1986 Order Authorizing Dismantling of Facility & Disposition of Components in Accordance W/Phase I of Dismantling Plan & NRC Rules & Regulations,Per 851029 Application ML20205G6071985-11-0808 November 1985 Order Terminating Proceeding Since Committee to Bridge the Gap Withdrew Petition for Leave to Intervene.No Other Petitions Remain.Served on 851112 ML20205G6551985-11-0808 November 1985 Memorandum & Order Approving Parties 851010 Stipulation to Dismantle & Dispose of All Reactor Components & Equipment Except for Biological Shield & Components Described in Stipulation.Served on 851112 ML20133Q2781985-10-30030 October 1985 Response to ASLB 851016 Memorandum & Order Re Settlement Agreement & Proposed Order on Matters in Dispute Concerning Proposed License Renewal & Dismantlement Proceedings. Paragraph 6 of Proposed Order Should Be Revised ML20133Q2941985-10-30030 October 1985 Affidavit of Dj Kasun Re Question 3 in ASLB 851016 Memorandum & Order Concerning Effect of Release of UCLA Security Plan to Public on Security of Other Nonpower Reactors W/Similar Plans.Certificate of Svc Encl ML20133J0691985-10-16016 October 1985 Memorandum & Order Requesting Parties to Respond by 851030 to Listed Questions Re 851010 Settlement Agreement & Proposed Order Terminating Proceeding.Served on 851017 ML20108A9601984-11-13013 November 1984 Answer Opposing Committee to Bridge the Gap 841024 Petition for Hearing & Leave to Intervene.Petition Fails to Satisfy Requirements & No Good Cause Exists for Deferment of Ruling on Petition.Certificate of Svc Encl ML20094A4741984-10-24024 October 1984 Petition of Committee to Bridge the Gap for Leave to Intervene & Request for Hearing Re Proposed Issuance of Orders Authorizing Disposition of Component Parts & Termination of License R-71.Certificate of Svc Encl ML20097A1271984-09-0707 September 1984 Response to ASLB 840806 Order Part B.Prompt Shipment of SNM, Removal of Metallic Core Components & Prompt Dissolution of Protective Order Required by Order,Regulations & Public Policy.Declaration of Svc Encl ML20097A0181984-09-0707 September 1984 Reply to Committee to Bridge the Gap 840801 Response Re Request to Withdraw Application.Aslb Should Approve Withdrawal of Application & Terminate Adjudicatory Proceedings.Certificate of Svc Encl ML20096G8791984-09-0707 September 1984 Response to ASLB 840806 Order Re Other Parties Responses to UCLA Motion for Withdrawal of Renewal Application. Clarification of Ambiguities in Proposals Progressing.W/Svc List ML20094C1371984-08-0101 August 1984 Response Opposing Staff Proposed Conditions for UCLA Withdrawal of License Renewal Application.Aslb Should Follow Required Practice Consistent W/Nrc Case Law.Certificate of Svc Encl ML20093H9281984-07-20020 July 1984 Reply Opposing Committee to Bridge the Gap (Cbg) 840703 Response to Univ Request to Withdraw Application.Cbg Not Established as Participant in License Termination Proceeding.Certificate of Svc Encl ML20093G1541984-07-20020 July 1984 Withdrawal of 840622 Emergency Petition for off-shipment of Reactor Fuel Prior to Arrival of Olympic Athletes.Petition Moot.Declaration of Svc Encl ML20090C7851984-07-11011 July 1984 Response Opposing Committee to Bridge the Gap 840622 Petition for Commission Order to Remove SNM Prior to Olympics.Motion Lacks Factual Basis & Does Not Conform to Procedure.Certificate of Svc Encl ML20092P2431984-07-0303 July 1984 Response Supporting Univ 840614 Request to Withdraw Application for License Renewal.Proposed ASLB Order Accepting Withdrawal Request Encl.W/Certificate of Svc ML20151J9891984-06-25025 June 1984 Memorandum Explaining Reason Underlying 840622 Telegraphic Memorandum & Order Suspending All Further Proceeding. Licensee Has Shown No Desire to Retain Fuel Longer than Necessary.Served on 840626 ML20092G2821984-06-22022 June 1984 Emergency Petition for off-shipment of SNM from Site Before Olympics,Due to Withdrawal of Renewal Application & Security Risk Associated W/Olympics.Declaration of Svc Encl ML20140C6651984-06-18018 June 1984 Order Canceling Contention Xx Evidentiary Hearings Due to Licensee 840614 Request to Withdraw License Renewal Application & to Decommission Reactor.Served on 840619 ML20197H3831984-06-14014 June 1984 Request to Withdraw License Renewal Application on Condition That Application Be Made to Decommission ML20197H4051984-06-14014 June 1984 Motion to Suspend Proceedings Pending ASLB Action on Request to Withdraw Application.Hearing on Security Contention Should Be Canceled Immediately to Avoid Unnecessary Expense.Certificate of Svc Encl ML20197G7651984-06-11011 June 1984 Motion to Compel Further Written Response of B Ramberg or for Alternative Relief & Costs.Committee to Bridge the Gap Has Not Revealed Documents Per Interrogatory Requests. W/Certificate of Svc.Related Correspondence ML20091Q6071984-06-11011 June 1984 Objection to ASLB 840606 Notice of Evidentiary Hearing Specifying That Portions of Contention Xx Evidentiary Hearing Will Be Closed to Public.Only Portions Dealing W/Protected Info Should Be Closed.Certificate of Svc Encl ML20091M8351984-06-0707 June 1984 Motion to Compel Committee to Bridge the Gap to Provide Further Written Answers to Questions 6 & 7 of Univ 840525 Interrogatories Re Security Contentions.Certificate of Svc Encl.Related Correspondence ML20091G8411984-05-30030 May 1984 Notice of T Taylor & D Hafemeister Depositions on 840604 & 05,respectively.Certificate of Svc Encl.Related Correspondence ML20091B3371984-05-25025 May 1984 Interrogatories Re Security Contention.Certificate of Svc Encl.Related Correspondence ML20090J6721984-05-0909 May 1984 Response to Applicant Request for Reversal of ASLB 840413 Finding of Matl False Statements.Requests Hearing in Which Questions Unanswered by Two UCLA Responses Can Be Thoroughly Explored.Declaration of Svc Encl ML20084H1991984-05-0404 May 1984 Notice of Disposition of Plotkin & Gt Cornwall on 840510 Re Physical Security & Request for Production of Documents. Certificate of Svc Encl.Related Correspondence ML20084F1641984-05-0101 May 1984 Response to ASLB 840413 Order Directing Univ to Indicate Whether Any Representatives Had Reviewed Cormier 830825 Statements.No Representative of Regents Reviewed Statements Before or After Submittal ML20084F1971984-05-0101 May 1984 Declaration of Wh Cormier in Response to ASLB 840413 Memorandum & Order Re Questions About Apparent Misrepresentations Made by Univ & NRC ML20084F7061984-05-0101 May 1984 Estimate of Level of Threat Facing UCLA Reactor in Response to ASLB 840420 pre-hearing Conference Order.Facility Attractive Theft & Sabotage Target.Certificate of Svc Encl ML20084E7271984-04-27027 April 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20084F1881984-04-27027 April 1984 Declaration of Nc Ostrander Re Review of Cormier 830825 Statements.No Member of Staff Requested to Review Documents Before or After Submittal ML20084D0711984-04-25025 April 1984 Motion for Reconsideration & Clarification of Portions of ASLB 840420 Prehearing Conference Order Re Contention Xx. Certificate of Svc Encl ML20084C4001984-04-24024 April 1984 Reply Opposing Applicant Motion for Reconsideration of ASLB 840322 Order & Further Suppl to Rebuttal.Source Term Issue Under Investigation Should Not Be Litigated in Individual License Proceeding ML20084C4151984-04-23023 April 1984 Response to Committee to Bridge the Gap (Cbg) 840406 Motions for Reconsideration of ASLB 840322 Memorandum & Order Ruling on Cbg Objections to Rebuttal Testimony.Motions Should Be Denied.Certificate of Svc Encl ML20088A0551984-04-0606 April 1984 Motion to Reconsider Portions of ASLB 840322 Memorandum & Order,Overruling Objections to Untimely Filed Rebuttal Testimony.Aslb Has Placed Interest in Complete Record Above Statutory Interests of Proceedings.W/Certificate of Svc ML20088A1611984-04-0606 April 1984 Motion for Reconsideration of Certain Portions of ASLB 840322 Order.Only Penalty for Violation of ASLB Orders Is Further Delay & Continued License Possession,Precisely What Licensee Desires.Declaration of Svc Encl ML20088A2011984-04-0606 April 1984 Response to Applicant 840330 Rept Re Reactor Shutdown, Repair & Testing Schedule.Certificate of Svc Encl ML20088A6911984-04-0606 April 1984 Petition Per Reconsideration of ASLB Order Ruling on Committee to Bridge the Gap Objections to Rebuttal Testimony.Certificate of Svc Encl ML20087D7111984-03-0909 March 1984 Response to ASLB 840224 Order Indicating Concerns on Security Plan & Security Insp Repts Re Sabotage Matters Raised by Contention Xx & Directing Univ & Staff to Respond by 840309.Certificate of Svc Encl ML20235Z3661984-03-0606 March 1984 Affidavit of MD Schuster in Response to Question Raised by Aslp in UCLA Proceeding in Aslp 840224 Order Re Physical Security Insp Repts to UCLA & Every Licensee Inspected ML20080N2431984-02-16016 February 1984 Motion Denying Committee to Bridge the Gap 740109 Motion for Reactor Curtailment.No Factual or Legal Basis Exists to Support Extreme Remedy Sought.W/Certificate of Svc ML20080B7491984-02-0101 February 1984 Response Objecting to Applicant/Nrc Proposed Witnesses & Proposed Mod to Protected Order.Witnesses Do Not Qualify as Experts.Declaration of Svc Encl ML20080B6871984-01-31031 January 1984 Response Objecting to Release of Certain Protected Info. Proposed Sanitized Portions of Security Plan Should Be Released Only to Qualified Witnesses.Certificate of Svc Encl ML20079H8501984-01-20020 January 1984 Reply Opposing Applicant 840117 Request for 24-day Extension to Respond to Committee to Bridge the Gap 840109 Motion for Curtailment.Reasonable Extension Not Opposed.Certificate of Svc Encl ML20079H3751984-01-17017 January 1984 Response to Committee to Bridge the Gap Memorandum Clarifying Contention Xx,Paragraphs 1,2 & 3.Committee Should Be Made to Respond to NRC Motion Re 10CFR73.67. Certificate of Svc Encl ML20079H4011984-01-17017 January 1984 Application for Extension of Time Until 840216 to Respond to Committee to Bridge the Gap 840109 Motion for Curtailment III (Irreparable Injury Associated W/Any Further Delay). Extension Will Not Delay Matters.W/Certificate of Svc ML20079H9711984-01-16016 January 1984 Reply to NRC & Applicant 831230 Pleadings Re Contention Ii.Ucla Ceased Using Reactor in Fashion for Which License Granted & Therefore,Should Not Be Permitted to Receive License.Declaration of Svc Encl 1989-07-28
[Table view] Category:OTHER LEGAL DOCUMENT
MONTHYEARML20097A1271984-09-0707 September 1984 Response to ASLB 840806 Order Part B.Prompt Shipment of SNM, Removal of Metallic Core Components & Prompt Dissolution of Protective Order Required by Order,Regulations & Public Policy.Declaration of Svc Encl ML20096G8791984-09-0707 September 1984 Response to ASLB 840806 Order Re Other Parties Responses to UCLA Motion for Withdrawal of Renewal Application. Clarification of Ambiguities in Proposals Progressing.W/Svc List ML20093G1541984-07-20020 July 1984 Withdrawal of 840622 Emergency Petition for off-shipment of Reactor Fuel Prior to Arrival of Olympic Athletes.Petition Moot.Declaration of Svc Encl ML20151J9891984-06-25025 June 1984 Memorandum Explaining Reason Underlying 840622 Telegraphic Memorandum & Order Suspending All Further Proceeding. Licensee Has Shown No Desire to Retain Fuel Longer than Necessary.Served on 840626 ML20197H3831984-06-14014 June 1984 Request to Withdraw License Renewal Application on Condition That Application Be Made to Decommission ML20091Q6071984-06-11011 June 1984 Objection to ASLB 840606 Notice of Evidentiary Hearing Specifying That Portions of Contention Xx Evidentiary Hearing Will Be Closed to Public.Only Portions Dealing W/Protected Info Should Be Closed.Certificate of Svc Encl ML20091G8411984-05-30030 May 1984 Notice of T Taylor & D Hafemeister Depositions on 840604 & 05,respectively.Certificate of Svc Encl.Related Correspondence ML20084H1991984-05-0404 May 1984 Notice of Disposition of Plotkin & Gt Cornwall on 840510 Re Physical Security & Request for Production of Documents. Certificate of Svc Encl.Related Correspondence ML20084F1641984-05-0101 May 1984 Response to ASLB 840413 Order Directing Univ to Indicate Whether Any Representatives Had Reviewed Cormier 830825 Statements.No Representative of Regents Reviewed Statements Before or After Submittal ML20084F7061984-05-0101 May 1984 Estimate of Level of Threat Facing UCLA Reactor in Response to ASLB 840420 pre-hearing Conference Order.Facility Attractive Theft & Sabotage Target.Certificate of Svc Encl ML20084F1971984-05-0101 May 1984 Declaration of Wh Cormier in Response to ASLB 840413 Memorandum & Order Re Questions About Apparent Misrepresentations Made by Univ & NRC ML20084E7271984-04-27027 April 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20084F1881984-04-27027 April 1984 Declaration of Nc Ostrander Re Review of Cormier 830825 Statements.No Member of Staff Requested to Review Documents Before or After Submittal ML20084D0711984-04-25025 April 1984 Motion for Reconsideration & Clarification of Portions of ASLB 840420 Prehearing Conference Order Re Contention Xx. Certificate of Svc Encl ML20084C4001984-04-24024 April 1984 Reply Opposing Applicant Motion for Reconsideration of ASLB 840322 Order & Further Suppl to Rebuttal.Source Term Issue Under Investigation Should Not Be Litigated in Individual License Proceeding ML20084C4151984-04-23023 April 1984 Response to Committee to Bridge the Gap (Cbg) 840406 Motions for Reconsideration of ASLB 840322 Memorandum & Order Ruling on Cbg Objections to Rebuttal Testimony.Motions Should Be Denied.Certificate of Svc Encl ML20088A2011984-04-0606 April 1984 Response to Applicant 840330 Rept Re Reactor Shutdown, Repair & Testing Schedule.Certificate of Svc Encl ML20088A0551984-04-0606 April 1984 Motion to Reconsider Portions of ASLB 840322 Memorandum & Order,Overruling Objections to Untimely Filed Rebuttal Testimony.Aslb Has Placed Interest in Complete Record Above Statutory Interests of Proceedings.W/Certificate of Svc ML20088A1611984-04-0606 April 1984 Motion for Reconsideration of Certain Portions of ASLB 840322 Order.Only Penalty for Violation of ASLB Orders Is Further Delay & Continued License Possession,Precisely What Licensee Desires.Declaration of Svc Encl ML20088A6911984-04-0606 April 1984 Petition Per Reconsideration of ASLB Order Ruling on Committee to Bridge the Gap Objections to Rebuttal Testimony.Certificate of Svc Encl ML20079J1881984-01-16016 January 1984 Review of UCLA Analysis of Facility Shutdown Mechanism. Postulated Power Excursion Will Not self-terminate as Assumed by Expulsion of Water Out Top of Fuel Box Region Through Surrounding Brick Walls ML20235Z3051983-12-23023 December 1983 Committee to Bridge the Gap Memorandum as to Status of Contention Xx (Security) Re UCLA Application for Renewal of Ol.Allegations of Three NRC Employees Made ML20083A6601983-12-13013 December 1983 Position on Contention Xx.Aslb Should Clarify Specific Factual Matters in NRC Motion for Summary Disposition. Whether Univ Must Provide Protection Against Sabotage Is Only Issue.Certificate of Svc Encl ML20082T4171983-12-13013 December 1983 Memorandum as to Status of Contention Xx (Security),Per ASLB 831123 Memorandum & Order.Declaration of Svc Encl ML20080G7511983-09-14014 September 1983 Memorandum as to Committee to Bridge the Gap Witness Panel Composition,Per ASLB 830902 Memorandum & Order.Declaration of Svc Encl ML20080L9551983-09-0909 September 1983 Response to Committee to Bridge the Gap 830830 Comments on IE Insp Rept on SNM Possession.Gap Alleged Discrepancies Based on Conjecture & Misinterpretation of Reported Info. Certificate of Svc Encl ML20076H6481983-08-30030 August 1983 Response & Comment on IE SNM Inventory Insp Repts 50-142/83-02 & 70-0223/83-01.NRC Inventory Does Not Provide ASLB W/Sufficient Factual Basis to Establish Actual SNM Onsite.Certificate of Svc Encl ML20071H0431983-05-13013 May 1983 Response to Judge Laurenson 830422 Order Re Contention Ii. Parties Stipulated to Witnesses & Exhibits.Summarizes Witnesses Testimony.Ucla Case Will Be Presented in 4 H. Certificate of Svc Encl ML20073R2161983-04-29029 April 1983 Response to ASLB 830414 Order Detailing Licensee Legal Position Re Committee to Bridge the Gap Motion for Summary Disposition of Contention Xvii.Summary Disposition Should Not Be Granted.Certificate of Svc Encl ML20069K6291983-04-22022 April 1983 Answer to Applicant 830412 Reply to Committee to Bridge the Gap 830404 Comments on Sabotage Consideration.Regulation to Authorize Specific Contention Unnecessary.Certificate of Svc Encl ML20073C6841983-04-0707 April 1983 Memorandum Re Order of Presentation of Witnesses at Hearing. Objects to NRC Presenting Case Before Util.Proposal Would Be Improper Shifting of Burden of Proof from Util to Nrc. Declaration of Svc Encl ML20073B7631983-04-0707 April 1983 Objections to Certain Scheduling Matters Detailed in ASLB 830323 Memorandum & Order.Allowing NRC to Present Case First Creates Appearance of Improper Shift of Burden of Proof. Declaration of Svc Encl ML20072T5171983-04-0404 April 1983 Response to ASLB 830323 Memorandum & Order Memorializing 830223 Prehearing Conference.Motions for Summary Disposition of Contentions II & Xviii Should Be Dismissed.Burden to Show Absence of Genuine Dispute Not Met.Certificate of Svc Encl ML20072U2171983-04-0404 April 1983 Memorandum Opposing UCLA & NRC Motions for Summary Disposition of Contentions II Re Class of License & Xviii Re Financial Qualifications & in Response to ASLB Concerns Re Contention Xix on Sabotage.Declaration of Svc Encl ML20066H4731982-11-16016 November 1982 Notice of Appearance in Proceeding.Declaration of Svc Encl ML20058J7971982-08-0606 August 1982 Response to NRC & UCLA Concerns Re 820712 Language Mods to Contention Viii Reflecting Proposed Application Amends.Basis for Contention Does Not Refer to 1982 Amended Application. Declaration of Svc Encl ML20071E6391982-06-29029 June 1982 Notice of Appearance in Proceeding ML20071E6251982-06-29029 June 1982 Notice of Appearance in Proceeding ML20054H7681982-06-22022 June 1982 Identification of Subjs Upon Which City of Santa Monica,Ca Intends to Participate,Per ASLB 820604 Memorandum & Order. Declaration of Svc Encl ML20054F3191982-06-11011 June 1982 Response to ASLB 820604 Order Re Release of Photographs. Proposes Alternative to Order Wherein Univ Would Retake Photographs Excluding Objectionable Physical Security Sys Features.Certificate of Svc Encl ML20052F3801982-05-0606 May 1982 Notice of Intent to Participate as Interested Municipality Per 10CFR2.715(c).Santa Monica City Council Resolution & Declaration of Svc Encl ML20052F2461982-05-0303 May 1982 Memorandum Re Addl Discovery Matters Per ASLB 820416 Memorandum & Order.Certificate of Svc Encl ML20052F2491982-05-0303 May 1982 Memorandum Re Disposition of Photographs,In Response to ASLB 820416 Memorandum & Order.No Compelling Interest Supports Committee to Bridge the Gap Proposal for Unconditional Release of Photos.Certificate of Svc Encl ML20052B6871982-04-26026 April 1982 Memorandum Re applicant-intervenor Disagreements Over Release of Intervenor Photographs,Per ASLB 820416 Memorandum & Order.Excerpts of Transcript of 820209 Discovery Conference Encl ML20042B7241982-03-12012 March 1982 Notice of J Bay Change of Address ML20009B8181981-07-0909 July 1981 Forwards Wh Comier Affidavit in Response to ASLB 810625 Order Re Article in Science ML19337B0391980-09-26026 September 1980 Notice of Appearance in Proposed Renewal of Ucla Research Reactor License Proceeding.Certification of Svc Encl ML19338D3611980-09-0909 September 1980 Certifies Svc of Response to Committee to Bridge the Gap Supplemental Petition to Intervene,On 800909 1984-09-07
[Table view] |
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I
- dhSI DOLKETED 1 COMMITTEE TO BRIDGE THE GAP 'J %PC 1637 Butler Avenue, Suite 203 2 Los Angeles, California 90025 (213) 478-0829 ,84 APR 10 N1 :25 3
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4 00:1- L i Wi A S! a t B 2 M!CH 5
UNITED STATES OF AMERICA 6 NUCLEAR REGULATORY COMMISSION 7 BEFORE THE' ATOMIC SAFETY AND LICENSING BOARD 8
9 In the Matter of )
)
10 THE REGENTS OF THE UNIVERSITY ) Docket No. 50-142 OF CALIFORNIA )
11 ) (Proposed Renewal of (UCLA Research Reactor) ) Facility License) 12 )
)
13 14 MOTION TO RECONSIDER BOARD MEMORANDUM AND ORDER OF MARCH 22, 1984 (Part I) 15 16 I.
17 INTRODUCTION 18 Committee to Bridge the Gap ("CBG") hereby moves the Atomic 19 Safety and Licensing Board (" Board") to reconsider portions of its 20 March 22, 1984 Memorandum and Order, ruling on CBG's objections to 21 UCLA's rebuttal testimony. CBG continues its objections to UCLA and 22 Staf f's " rebuttal" testimony as set forth in CBG's November 16, 1983-23 Objections, and seeks reconsideration of the Board's ruling on all 24 testimony which the Board indicates should have been filed with 25 Staff's and UCLA's direct case, but which it now admits. CBG also 26 seeks reconsideration of certain other specific rulings as will be set 27 forth below and in Part II of this Motion filed under separate cover.
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D kDO O 2 0 PM .
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1 .
i 1 II.
2 THE BOARD'S ADMISSION OF UCLA'S REBUTTAL TESTIMONY VIOLATES ITS OWN PRCCEDURAL RULINGS 3
In January 1983, due to the fact that UCLA and Staff had 4
ignored the Board's admonitions regarding filing summary disposition 5
only on contentions where a strong case would be made, CBG filed, in 6 l opposition to the summary disposition motions, what amounted to its 7
direct case. On April 7, 1983, this Board ruled that UCLA's and 8
Staff's direct case at the safety hearings had to include any rebuttal 9
to the material filed by CBG in its reponses to UCLA's and Staff's 10 motions for summary disposition. UCLA put on its direct case during 11 the July 1983 hearings. At the end of the October hearings, after 12 CBG had presented its direct and rebuttal cases, UCLA requested a 13 continuance in order to file its rebuttal testimony. Although the 14 continuance was granted, the Board reiterated its previous ruling 15 that UCLA's rebuttal had to be restricted to rebuttal of new inform-16 ation which had not been included in CBG's opposition to summary 17 disposition; any rebuttal to that material having had to have been 18 filed with UCLA's direct case. On November 7, 1983, UCLA submitted 19 its massive " rebuttal" testimony, with CBG's objections following on 20 November 16, 1983. Even before ruling on CBG's objections, in its 21 November 23, 1983 Order indefinitely postponing the safety hearings, 22 the Board again indicated that it was concerned over the fact that 23 UCLA's " rebuttal" should have been included in its direct case.
24 25 "The Board indicated its concern over the lateness of UCLA's rebuttal concerning the 26 shutdown mechanism in the UCLA Argonaut, which in the Board's view, concerns the prin-27 l cipal issue in this case. Regardless of 28 L
o it I whether this testimony is proper rebuttal, the Bocrd noted its view that it should have 2 been presented last summer.
3 Thus, at the time CBG objected to UCLA's and Staff's rebuttal 4 testimony, the Board had already established long-standing and clear 5 procedural rules concerning the allowable scope of UCLA's and Staff's 6 rebuttal testimony.
7 In the March 22, 1984 Order, the Board acknowledges its 8 previous rulings, stating repeatedly that certain portions of the 9 University's rebuttal testimony should have been filed with its 10 direct case.1/ Despite finding that the noted testimony should have 11 been filed as part of the University's and Staff's direct cases, the 12 Board ultimately ignored its prior rulings and overruled CBG's 13 objections admitting the noted testimony, ostensibly to further "the 14 public interest in a complete record." Thus, the Board's March 22, 15 1984 ruling is directly contrary to its own oft repeated procedural 16 orders and should be reconsidered.
17 III.
18 THE BOARD'S ALLOWANCE OF UCLA'S REBUTTAL TESTIMONY IS CONTRARY TC THE PUBLIC INTEREST UNLESS THE REACTOR 19 IS SHUTDOWN UNTIL PROVEN SAFE _
20
- 1. The Board Has An Obligation To Secure A Complete 21 Record Prior to Approving the UCLA License Request.
22 In making its ruling, the Board claims wide discretion as 23 to what constitutes permissible rebuttal testimony. It exercises 24 De Boarti order indicates that the following testimony responds to CBG's 25 ' January declarations: (1) shutdown mechanism rebuttal; (2) Wigner energy calculations; (3) the last paragraph on page 3 of UCLA's " Rebuttal to CBG's Wigner 26 Energy Testimony; (5) answr 4 in UCLA's rebuttal on credibility of a graphite fire at the UCLA reactor; (6) the reference in answer 6 to Ostrander's neutron transport 27 calculations; (7) portions of answer 6 to Staff's Rebuttal 'Ibstimony on Dis-persion; (8) Staff answers 9, 10 and 11.
28 i l
l 1 this discre*1, allow UCLA's untimely testimony on the basis that 2 the public interest in a complete record outweighs the inconvenience 3 to the Board and the other parties created by the delay which its 4 ruling will entail. The Board reaches this conclusion by reasoning 5 that as an administrative tribunal it has a duty, independent of the 6 presentation of the parties, to fully develop all facts and opinions l 7 related to the safety of this reactor so as to be able to render a sound 8 decision on a complete record. The Board indicates that this 9 obligation to secure a complete record is heightened in the UCLA case 10 due to the fact that the Board is confronted with an application for 11 renewal of an operating license for a reactor sited in an urban arez .
12 In other words, the Board believes it must develop a complete record 13 in order to be absolutely certain of the UCLA f acility's safety before 14 it grants a license.
15 2. The Paramount Public Interest to Be Considered By the Board is the Public Health and Safety.
16 As a general proposition it is difficult to take issue with 17 the Board's interest in developing a complete record as discussed 18 above. However, the application of that princinle to UCLA's rebuttal 19 testimony in the context of this long-delayed license renewal hear-20 ing, stands public pol. icy and public interest considerations on their 21 heads.
22 The ultimate public policy to be upheld by the Atomic Safety 23 and Licensing Board is not to develop a complete record, rather it is 24 to protect the public health and safety. This policy is expressed in 25 10 C.F.R. 50.40.
26 In determining that a license will be 27 _ issued to an applicant, the Commission will be guided by the following considerations:
28
. l l
1 (a) . . . the operating procedures, the 2 facility and equipment, the use of the facil-ity, and other technical specifications, for 3 the proposals, in regard to any of the fore-going collectively provide reasonable assur-4 ance that the applicant will comply with the regulations in this Chapter, including the 5 regulations in Part 20, and that the public health and safety of the public will not be 6 endangered.
7 (b) The applicant is technically . . .
qualified to engage in the proposed activ-j 8 ities in accordance with the regulations in this Chapter. . . .
9 (c) The issuance of a license to the 10 applicant will not . . . be inimical to the common defense and security or to the healt.
11 and safety of the public.
12 These standards are repeated in 10 C.F.R. 50.57.
13 It is only in the interest of upholding these regulatory 14 standards that the independent duty of the Board to rule only upon a 15 complete record comes into play. In other words, if the record is not i 16 complete, the Board cannot be certain in its conclusions concerning 17 a facility's impact on the public health and safety, and, thus, should 18 not issue a license to the facility.
19 3. The Development of A Complete Record Must Not Come At the Expense of the Public Health and Satety.
20 The protection of the public health and safety and the consequent interest in a complete record must be considered in the procedural context in which they arise. If a Board is considering a 23 license application, the subject facility will not be operating while 24 the record is being developed. Thus, until the record is complete and 25 the Board is satisfied that the public health and safety will not be 26 j endangered by license approval, the public health and safety is 27 completely protected by the fact that the facility is not operating.
28 F
4 1 In such a situation, emphasizing the public interest in a complete 2 record makes imminent sense. However, in the context of a license 3 renewal proceeding, such as the instant one, the status quo is not 4 benign. During the hearing process, the facility continues to operate 5 and may be posing a threat to the public.
6 The significance of this different procedural context is 7 dramatically illustrated in the UCLA case. In this case, serious 8 questions have been raised concerning the safety of the facility.
9 However, the Applicant and the Staff have taken, in this Board's 10 words, a " nonchalant approach to the substantive issues" and a 11 " cavalier attitude toward this proceeding." Indeed, as to the 12 shutdown mechanism, the " principal issue in this case," the Board has 13 found UCLA's and Staff's testimony, to date, insufficient. Thus, 14 serious questions as to the safety of the facility have been raised 15 and, on the existing record, the Board cannot, at this time, find that 16 the UCLA facility meets the standards in 10 C.F.R. 50.40. Conse-17 quently, the status quo does not provide assurances that the public 18 health and safety is not being endangered and every delay is contrary 19 to the public interest.
20 In the context of this case, for the Board to allow untimely 21 rebuttal testimony and the delays which such testimony has caused and 22 continues to cause on the basis that the public interest demands a 23 complete record, perverts the paramount public interest of protecting 24 the public health and safety.
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26 ///
27 ///
2a 1
f
- l l
l 1 IV 2 THE BOARD'S MARCH 22, 1984 ORDER CAN ONLY BE CONSISTENT WITH THE PUBLIC INTEREST IF THE BOARD 3 SHUTS THE FACILITY DOWN 4 There is only one way in which this Board can legally 5 justify allowing UCLA's untimely rebuttal testimony in the f ace of the 6 I Board's repeated previous rulings restricting the scope of said 7 testimony; that is to order the facility shut down until UCLA 8 demonstrates compliance with the standards set forth in 10 CFT 50.40.
9 Only if this license renewal proceeding is put on the procedural 10 footing of a licensing or restart proceeding will the public interest 11 in developing a complete record, without regard to the delays involved 12 in such a course of action, be consistent with the paramount public 13 interest and regulatory charge to the Board of protecting the public 14 health and safety. Thus, the Board must either reconsider its March 15 22, 1984 evidentiary rulings or it must grant the relief sought in 4
16 CBG's Motion for Curtailment (III) of ordering the reactor shut down 17 until it is proven safe.
18 V 19 THE BOARD'S ALLOWANCE OF UCLA'S REBUTTAL TESTIMONY-RAISES THE SPECTRE OF INCREASING DELAYS THROUGHOUT 20 THE COURSE OF THE HEARINGS 1
21 As set forth above, the Board has made a series of rulings 22 over the past year and one-half regulating and restricting the scope 23 of filed testimony on summary disposition and at hearing. Besides a 24 nonchalant attitude toward the substantive issues in the case, Staff 25 and Applicant have shown disdain for the Board's procedural rulings 26f and have thereby already occasioned well over a year's worth of delay 27 in the proceedings. If the Board continues to fail to enforce its own 28 .
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1 procedural orders as it has in its March 22, 1984 Order, it could be 2 as much as ten years from the time of application before a final 3 decision is reached.
4 Under the Administrative Procedures Act, 5 USC S 555(b) and 5 under 10 CFR S 2.718, this Board has a duty to reach a timely and 6 expeditious decision on the matters before it. This general duty is 7 particularly great when, as here, there has been a strong showing that 8 the ongoing licensed activity may present a threat to the public 9 health and safety. See, Enviornmental Defense Fund v. Hardin, 428 10 F.2d 1093,1099 (1970) . The Board cannot discharge its duties to move 11 forward and protect the public health and safety in these proceedings 12 unless the UCLA license is suspended pending a final decision. This 13 is the case because ULCA currently has every incentive to continually 14 repeat its conduct to date of withholding its direct case as long as 15 possible, then delaying the hearings in order to establish a complete 16 record. Mr. Cormier's March 30, 1984 letter provides a dramatic 17 illustration of this fact.
18 In the interest of securing a complete record on the 19 critical issues of shutdewn mechanism and Wigner energy, the Board has 20 overridden its previous rulings to allow UCLA's and Staff's late-r 21 filed testimony. Now UCLA informs us that although the current 22 maintenance problems at the reactor will provide an opportunity to 23 view the reactor core and take certain measurements, these oppor-i 24 tunities will not provide significant information in this phase of the 25 proceedings because the core-will not be opened for at least six 26 months and maybe longer. Thus, implicitly, UCLA is suggesting that 27 the hearings proceed based on Mr. Ostrander's testimony and Dr.
28 Pearlman's calculations, but whenever it gets around to opening the I
l 1 core, it will " redefine" the water pathways and take measurements 2 which could render large parts of its previous testimony irrelevant 3 or unreliable. Undoubtedly, it will then ask to reopen or continue 4 the safety hearings on the basis of the new information.
5 What is the injury occasioned by these delays? It is the 6 threat to the public health and safety and the subversion of the 7 statutes and regulations governing these proceedings. As the court 8 indicated in Environmental Defense Fund v. Hardin, the administrative 9 inaction is the same as denial of relief where such inaction has the 10 same impact on the rights of the parties as denial of relief. In this 11 case, as in that one, if CBG is correct in its claim that this reactor 12 and the possession of SNM by this license present imminent hazards to 13 the public, then failure to suspend the license in the face of the 14 interminable delays is a failure to discharge the Board's statutory 15 and regulatory duties.
16 VII i
17 l CONCLUSION 18 19 The Board, in its March 22, 1984 Memorandum and Order, 20 verrules CBG's objections to untimely filed rebuttal testimony on 21 the grounds that the public interest in securing a complete record 22 upon which the Board can base its ruling overrides its own prior 23 procedural rulings. In so ruling, the Board has placed the interest 24 in a complete record above the statutory, regulatory and policy 25 l interests of expeditious proceedings and, most importantly, the 1
76 1 protection of the public health and safety. Thus, in order to 27 discharge it duties, the Board should suspend UCLA's license to use 23 , l 1
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l 1 and possess SNM until a final decision has been reached. If the Board 2 does not reconsider it rulings and otherwise act to expedite these 3 hearings, thepublicinterestmgyTe 'rreparably harmed.
4 l j '
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John H. pay /
j 6 Attorney for Intervenot COMMITTEE TO BRIDGE TIIE GAP 7
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15 16 17 18 19 20 21 22 23 24 25 76 1 27 g
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.. .o United States of America NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of Docket No. 50-142 OL THE REGENTS OF THE UNIVERSITY )
OF CALIFORNIA ) (Proposed Renewal of Facility (UCLA Research Reactor) ) License)
)
CERTIFICATE OF SERVICE I hereby certify that copies of the attached MOTION TO RECONSIDER BOARD MEMORANDUM AND ORDER OF MARCH 22, 1984, in the above-captioned proceeding have been served on the following by deposit in the United States mail, first class, postage prepaid, addressed as indicated, on this date: N , 1984 ApM V John H. Frye, III, Chairman Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Dr. Emmeth A. Luebke Administrative Judge Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Dr. Glen O. Bright Administrative Judge Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Chief, Docketing & Service Section (3)
Office of the Secretary U.S. Nuclear Regulatory Commission Wachington, D.C. 20555 Counsel for NRC Staff U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Attention: Ms. Colleen P. Woodhead 4
William H. Cormier Office of Administrative Vice Chancellor University of California 405 Hilgard Avenue Los Angeles, California 90024 Christine Helwick Glenn R. Woods Office of General Counsel 590 University Hall 2200 University Avenue Berkeley, CA 94720 Lin Naliboff Deputy City Attorney Office of the City Attorney City Hall 1685 Main Street Santa Monica, CA 90401 Committee to Bridge the Gap 1637 Butler Avenue, Suite 203 Los Angeles, California 90025 Daniel Hirsch P.O. Box 1186 Ben Lomond, CA 95005 Dorothy Thompson Nuclear Law Center 6300 Wilshire Blvd., Suite 1200 Los Angeles, CA 90048 Carale\F . agan, Esq.
Atomic afety and Licensing Board Panel U.S. N ear Regulatory Commission
- Washi gto , D.C. 20555 ,
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JOHN f/
CounselBAj'for Jntervent:
f COMMITTEE TO BRIDGE THE GAP-l-
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