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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20056E5101993-08-11011 August 1993 Comment Opposing Proposed Rule 10CFR20 Re Radiological Criteria for Decommissioning ML20059P0531990-10-15015 October 1990 Comment Opposing Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal IR 05000358/19820101986-06-24024 June 1986 Applicant Exhibit A-49,consisting of Forwarding Partially Withheld Safety Insp Rept 50-358/82-10 on 820607- 0818 (Ref 10CFR2.790) & Notice of Violation ML20129A3751985-05-16016 May 1985 Order Revoking CPPR-88,based on Util 840127 Plan to Convert Facility to Coal Fuel ML20133N3621985-03-14014 March 1985 Unexecuted Amend 3 Terminating Indemnity Agreement B-85 ML20094C3571984-08-0202 August 1984 Transmittal of Info Re Util 840320 Motion for Withdrawal of OL Application.Fuel Removed from Site,Steam Supply Sys Modified & CRD Mechanisms Removed.Certificate of Svc Encl ML20087H7881984-03-20020 March 1984 Motion Requesting Issuance of Order Authorizing Withdrawal of Application.Plant Will Be Used as Part of New Fossil fuel-fired Electric Generating Plant.Certificate of Svc Encl ML20087N2281984-03-0101 March 1984 Endorsement 25 to Nelia Policy NF-249 ML20079F8181984-01-16016 January 1984 Response Opposing Miami Valley Power Project 831231 Proposed Issues & Support for Contentions Re Qa.Issues Not Specific or Litigable.Certificate of Svc Encl ML20083J5321983-12-31031 December 1983 Proposed Issues & Prospective Witnesses Supporting Miami Valley Power Project Proposed Contentions Re Qa,Character & Competence.Certificate of Svc Encl ML20079H6901983-12-14014 December 1983 Petition Per 10CFR2.206 to Defer Judgment or Decision on Proposed Course of Action for Completion of Facility Until Suppl Created for Record of J Keppler 831215 Briefing.W/O Encls ML20082P8501983-12-0606 December 1983 Response Opposing City of Mentor 831115 Memorandum in Support of NRC 831031 Motion to Defer Rulings on Miami Valley Power Project Motion to Reopen Record.Motion W/O Merit.Certificate of Svc Encl.Related Correspondence ML20082M5791983-12-0202 December 1983 Response Opposing Applicant 831115 Answer to NRC 831031 Motion to Defer Ruling on Petition for Reconsideration & Motion for Leave to File Addl Evidence Prior to 831215 Conference of Counsel.Certificate of Svc Encl ML20082L0991983-11-30030 November 1983 Memorandum in Support of City of Mentor Motion to Further Defer Rulings Until Completion of Investigation Into Matl False Statements by NRC & Applicants.Certificate of Svc Encl ML20082D6991983-11-15015 November 1983 Memorandum in Support of NRC Motion to Defer Rulings on Miami Valley Power Project Motion to Reopen & City of Mentor Motion to Further Defer Rulings Until Completion of Investigation.Certificate of Svc Encl ML20081M7951983-11-15015 November 1983 Answer Opposing NRC Motion to Defer Rulings on Miami Valley Power Project (MVPP) 831003 Motion to Reopen Record.Decision Should Not Be Deferred to Await Completion of Investigation. Certificate of Svc Encl ML20085K7841983-10-18018 October 1983 Answer Opposing Miami Valley Power Project 831003 Petition for Reconsideration of ASLB 830915 Memorandum & Order Denying Project Motion to Reopen Record to Admit Eight Late Filed Contentions on Qa.Certificate of Svc Encl ML20078K5621983-10-13013 October 1983 Memorandum in Support of Miami Valley Power Project (MVPP) Petition for Reconsideration of ASLB 830915 Order.Mvpp Urges ASLB to Address Stds for Reopening Record.Issues Should Be Included to Ensure Complete Record.Certificate of Svc Encl ML20078F9641983-10-0606 October 1983 Notification to Commission of Miami Valley Power Project Misrepresentation in 831003 Motion for Reconsideration of ASLB 830915 Order.No Util Counsel Communicated W/Govt Accountability Project.Certificate of Svc Encl ML20078F8891983-10-0606 October 1983 Notice of Jh Laverty Employment W/Conner & Wetterhahn,Pc. Laverty Will Not Participate in Matters Leading to OL Issuance Due to Previous Employment W/Commissioner Roberts. Certificate of Svc Encl ML20078F8751983-10-0606 October 1983 Notice of Jh Laverty Employment W/Conner & Wetterhahn,Pc. Previous Employment W/Commissioner Roberts Eliminates Any Contribution to Zimmer Case ML20080P0771983-10-0303 October 1983 Motion for Extension to File Appeal Until 10 Days After Svc of ASLB Decision on Miami Valley Power Project Petition for Reconsideration.Certificate of Svc Encl ML20080P0141983-10-0303 October 1983 Petition for Reconsideration of ASLB 830915 Order Denying Miami Valley Power Project Motion to Reopen Record for Admission of Eight Proposed Contentions.Addl Info Provided Since Original Decision.Certificate of Svc Encl ML20080P0481983-09-26026 September 1983 Affidavit of T Devine Summarizing 830919 Discussion W/ C Weaver Re Summary of Interview in Torrey Pines Rept. Weaver Seriously Challenges Completeness of Interview Summary ML20080P0291983-09-26026 September 1983 Affidavit of D Jones for Govt Accountability Project Protesting Torrey Pines Rept Chapter on Cases Studies.Ref to Author Interviews Incomplete & Thus Inaccurate.Analysis of Whistleblower Missed Real Problem of Lack of Freedom ML20080P0671983-09-24024 September 1983 Affidavit of R Reiter for Govt Accountability Project Expressing Dissatisfaction of W/Summarized Interview in Torrey Pines Rept ML20080F2451983-09-13013 September 1983 Memorandum Supporting Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight Contentions. Torrey Pines Mgt Review & NRC Repts Confirm Project Substantially Correct on Qa.Certificate of Svc Encl ML20080E6921983-09-12012 September 1983 Answer Opposing Miami Valley Power Project 830826 Motion for Leave to Submit New Documents & for ASLB Review of Pending Investigations.Motion Unjustified Attempt to Bend Rules on Late Contentions.W/Certificate of Svc ML20080D2791983-08-26026 August 1983 Motion for Leave to Submit New Evidence in Support of 830603 Proposed Contentions & for ASLB Review of Significant Pending Investigations.Certificate of Svc Encl ML20080C7171983-08-25025 August 1983 Answer Opposing Miami Valley Power Project 830811 Motion for Leave to File Reply Brief to Util & NRC Answers to Project 830712 Motion to Compel Discovery.Project Had Opportunity to Brief Issue in Original Motion.Certificate of Svc Encl ML20076A6451983-08-15015 August 1983 Notice of Substitution of Counsel for Amicus Curiae Brief & Appearance Before Aslb.Certificate of Svc Encl ML20024E5591983-08-11011 August 1983 Motion for Leave to File Reply Brief to Applicant & NRC 830803 & 01,respectively,answers Opposing Miami Valley Power Project Motion to Compel Discovery.Assertion of Boundary on Discovery Should Be Briefed.Certificate of Svc Encl ML20024E3941983-08-0505 August 1983 Motion for Leave to File Reply Brief & for Clarification of Responsibility to Duplicate Previous Analysis & Evidentiary Submissions.Util Challenge Frivolous,Heavy on Chutzpah & Deficient on Common Sense.Certificate of Svc Encl ML20077L5161983-08-0303 August 1983 Response Opposing Miami Valley Power Project 830707 Reply Brief Supporting Project 830603 Motion to Reopen Record.Aslb Lacks Jurisdiction to Hear Motion to Reopen to Admit Eight late-filed Contentions.Certificate of Svc Encl ML20024D1381983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion for Protective Order to Withhold Identity of Persons Upon Whose Allegations Project Relied in Seeking to Reopen Record.Motion W/O Merit.Certificate of Svc Encl ML20024D1261983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion to Reopen Record for Admission of Eight QA Contentions. Motion Actually Is Untimely Appeal from Earlier ASLB Rulings.Relief Sought Contrary to Commission Orders ML20024D1171983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion to Defer Ruling on Review of ALAB-727 Pending Ruling on Motions to Reopen.No Justification Given to Delay Review for Unrelated Matters ML20080A2721983-07-21021 July 1983 Response to Applicant Motion for Leave to Respond to Miami Valley Power Project Reply Brief.Applicant Should Respond Only to Substance of Proposed Contentions Re QA Program Inadequacy.Certificate of Svc Encl ML20076L4691983-07-15015 July 1983 Motion for Leave to Respond by 830729 to Miami Valley Power Project (MVPP) Reply Brief Re Applicant Opposition to Eight QA Contentions.Mvpp Reply Distorts Record & Applicant Position.Certificate of Svc Encl ML20072N4501983-07-12012 July 1983 Reply Brief Supporting Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight Contentions on QA & Corporate Character & Competence & Motion to Compel Discovery on Contentions ML20072N4631983-07-12012 July 1983 Motion to Reopen Record for Admission of Eight Contentions on QA & Corporate Character & Competence.Aslab Has Jurisdiction Even If ASLB Lacks Jurisdiction to Reopen Record ML20072N4741983-07-12012 July 1983 Motion to Defer Ruling on Whether to Review ALAB-727 Until ASLB & Aslab Rule on Miami Valley Power Project 830603 & 0712 Motions to Reopen Record to Admit Contentions on QA & Character & Competence,Or Alternatively,To Reopen Record ML20072N4901983-07-12012 July 1983 Motion for Protective Order to Shield Identity of Affiants Providing Portion of Basis for Miami Valley Power Project Eight Proposed Contentions.Certificate of Svc Encl ML20072K7331983-07-0101 July 1983 Answer Opposing Miami Valley Power Project 830629 Motion for Leave to File Reply Brief to Util & NRC Answers to Project 830603 Motion to Reopen Record.No Purpose Would Be Served by Permitting Redundant Discussion.Certificate of Svc Encl ML20024B0591983-06-29029 June 1983 Motion for Leave to File Reply Brief,By 830706,to NRC & Util 830630 Answers to Miami Valley Power Project 830603 Motion to Reopen Record to Admit Eight Contentions on QA & Util Character & Competence.Certificate of Svc Encl ML20072F4481983-06-22022 June 1983 Memorandum Supporting Miami Valley Power Project 830602 Motion to Reopen Record to Admit Eight Contentions on QA & Lack of Corporate Character & Competence.Reopening Necessary to Foster Public Confidence in Nrc.W/Certificate of Svc ML20024A6661983-06-20020 June 1983 Response Opposing Motions to File Amicus Curiae Brief in Support of Miami Valley Power Project Motion to Reopen Record for Admission of Eight QA Contentions.Certificate of Svc Encl ML20024A6621983-06-20020 June 1983 Response Opposing Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight QA Contentions. Motion Untimely ML20076J1201983-06-16016 June 1983 Petition for Leave to File Amicus Curiae Brief Re Miami Valley Power Project Motion to Reopen Record to Admit Eight Contentions on QA & Character & Competence.Requests Extension of Time.Certificate of Svc Encl ML20076J1361983-06-16016 June 1983 Ohio Sierra Club Amicus Curiae Brief Supporting Miami Valley Power Project Motion to Reopen Record to Admit Eight Contentions.Contentions Provide Evidence That QA Problems Exist.Certificate of Svc Encl 1993-08-11
[Table view] Category:PLEADINGS
MONTHYEARML20087H7881984-03-20020 March 1984 Motion Requesting Issuance of Order Authorizing Withdrawal of Application.Plant Will Be Used as Part of New Fossil fuel-fired Electric Generating Plant.Certificate of Svc Encl ML20079F8181984-01-16016 January 1984 Response Opposing Miami Valley Power Project 831231 Proposed Issues & Support for Contentions Re Qa.Issues Not Specific or Litigable.Certificate of Svc Encl ML20079H6901983-12-14014 December 1983 Petition Per 10CFR2.206 to Defer Judgment or Decision on Proposed Course of Action for Completion of Facility Until Suppl Created for Record of J Keppler 831215 Briefing.W/O Encls ML20082P8501983-12-0606 December 1983 Response Opposing City of Mentor 831115 Memorandum in Support of NRC 831031 Motion to Defer Rulings on Miami Valley Power Project Motion to Reopen Record.Motion W/O Merit.Certificate of Svc Encl.Related Correspondence ML20082M5791983-12-0202 December 1983 Response Opposing Applicant 831115 Answer to NRC 831031 Motion to Defer Ruling on Petition for Reconsideration & Motion for Leave to File Addl Evidence Prior to 831215 Conference of Counsel.Certificate of Svc Encl ML20082L0991983-11-30030 November 1983 Memorandum in Support of City of Mentor Motion to Further Defer Rulings Until Completion of Investigation Into Matl False Statements by NRC & Applicants.Certificate of Svc Encl ML20081M7951983-11-15015 November 1983 Answer Opposing NRC Motion to Defer Rulings on Miami Valley Power Project (MVPP) 831003 Motion to Reopen Record.Decision Should Not Be Deferred to Await Completion of Investigation. Certificate of Svc Encl ML20085K7841983-10-18018 October 1983 Answer Opposing Miami Valley Power Project 831003 Petition for Reconsideration of ASLB 830915 Memorandum & Order Denying Project Motion to Reopen Record to Admit Eight Late Filed Contentions on Qa.Certificate of Svc Encl ML20078K5621983-10-13013 October 1983 Memorandum in Support of Miami Valley Power Project (MVPP) Petition for Reconsideration of ASLB 830915 Order.Mvpp Urges ASLB to Address Stds for Reopening Record.Issues Should Be Included to Ensure Complete Record.Certificate of Svc Encl ML20080P0771983-10-0303 October 1983 Motion for Extension to File Appeal Until 10 Days After Svc of ASLB Decision on Miami Valley Power Project Petition for Reconsideration.Certificate of Svc Encl ML20080P0141983-10-0303 October 1983 Petition for Reconsideration of ASLB 830915 Order Denying Miami Valley Power Project Motion to Reopen Record for Admission of Eight Proposed Contentions.Addl Info Provided Since Original Decision.Certificate of Svc Encl ML20080F2451983-09-13013 September 1983 Memorandum Supporting Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight Contentions. Torrey Pines Mgt Review & NRC Repts Confirm Project Substantially Correct on Qa.Certificate of Svc Encl ML20080E6921983-09-12012 September 1983 Answer Opposing Miami Valley Power Project 830826 Motion for Leave to Submit New Documents & for ASLB Review of Pending Investigations.Motion Unjustified Attempt to Bend Rules on Late Contentions.W/Certificate of Svc ML20080D2791983-08-26026 August 1983 Motion for Leave to Submit New Evidence in Support of 830603 Proposed Contentions & for ASLB Review of Significant Pending Investigations.Certificate of Svc Encl ML20080C7171983-08-25025 August 1983 Answer Opposing Miami Valley Power Project 830811 Motion for Leave to File Reply Brief to Util & NRC Answers to Project 830712 Motion to Compel Discovery.Project Had Opportunity to Brief Issue in Original Motion.Certificate of Svc Encl ML20024E5591983-08-11011 August 1983 Motion for Leave to File Reply Brief to Applicant & NRC 830803 & 01,respectively,answers Opposing Miami Valley Power Project Motion to Compel Discovery.Assertion of Boundary on Discovery Should Be Briefed.Certificate of Svc Encl ML20024E3941983-08-0505 August 1983 Motion for Leave to File Reply Brief & for Clarification of Responsibility to Duplicate Previous Analysis & Evidentiary Submissions.Util Challenge Frivolous,Heavy on Chutzpah & Deficient on Common Sense.Certificate of Svc Encl ML20077L5161983-08-0303 August 1983 Response Opposing Miami Valley Power Project 830707 Reply Brief Supporting Project 830603 Motion to Reopen Record.Aslb Lacks Jurisdiction to Hear Motion to Reopen to Admit Eight late-filed Contentions.Certificate of Svc Encl ML20024D1381983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion for Protective Order to Withhold Identity of Persons Upon Whose Allegations Project Relied in Seeking to Reopen Record.Motion W/O Merit.Certificate of Svc Encl ML20024D1261983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion to Reopen Record for Admission of Eight QA Contentions. Motion Actually Is Untimely Appeal from Earlier ASLB Rulings.Relief Sought Contrary to Commission Orders ML20024D1171983-07-27027 July 1983 Answer Opposing Miami Valley Power Project 830712 Motion to Defer Ruling on Review of ALAB-727 Pending Ruling on Motions to Reopen.No Justification Given to Delay Review for Unrelated Matters ML20080A2721983-07-21021 July 1983 Response to Applicant Motion for Leave to Respond to Miami Valley Power Project Reply Brief.Applicant Should Respond Only to Substance of Proposed Contentions Re QA Program Inadequacy.Certificate of Svc Encl ML20076L4691983-07-15015 July 1983 Motion for Leave to Respond by 830729 to Miami Valley Power Project (MVPP) Reply Brief Re Applicant Opposition to Eight QA Contentions.Mvpp Reply Distorts Record & Applicant Position.Certificate of Svc Encl ML20072N4501983-07-12012 July 1983 Reply Brief Supporting Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight Contentions on QA & Corporate Character & Competence & Motion to Compel Discovery on Contentions ML20072N4631983-07-12012 July 1983 Motion to Reopen Record for Admission of Eight Contentions on QA & Corporate Character & Competence.Aslab Has Jurisdiction Even If ASLB Lacks Jurisdiction to Reopen Record ML20072N4741983-07-12012 July 1983 Motion to Defer Ruling on Whether to Review ALAB-727 Until ASLB & Aslab Rule on Miami Valley Power Project 830603 & 0712 Motions to Reopen Record to Admit Contentions on QA & Character & Competence,Or Alternatively,To Reopen Record ML20072N4901983-07-12012 July 1983 Motion for Protective Order to Shield Identity of Affiants Providing Portion of Basis for Miami Valley Power Project Eight Proposed Contentions.Certificate of Svc Encl ML20072K7331983-07-0101 July 1983 Answer Opposing Miami Valley Power Project 830629 Motion for Leave to File Reply Brief to Util & NRC Answers to Project 830603 Motion to Reopen Record.No Purpose Would Be Served by Permitting Redundant Discussion.Certificate of Svc Encl ML20024B0591983-06-29029 June 1983 Motion for Leave to File Reply Brief,By 830706,to NRC & Util 830630 Answers to Miami Valley Power Project 830603 Motion to Reopen Record to Admit Eight Contentions on QA & Util Character & Competence.Certificate of Svc Encl ML20072F4481983-06-22022 June 1983 Memorandum Supporting Miami Valley Power Project 830602 Motion to Reopen Record to Admit Eight Contentions on QA & Lack of Corporate Character & Competence.Reopening Necessary to Foster Public Confidence in Nrc.W/Certificate of Svc ML20024A6661983-06-20020 June 1983 Response Opposing Motions to File Amicus Curiae Brief in Support of Miami Valley Power Project Motion to Reopen Record for Admission of Eight QA Contentions.Certificate of Svc Encl ML20024A6621983-06-20020 June 1983 Response Opposing Miami Valley Power Project 830603 Motion to Reopen Record for Admission of Eight QA Contentions. Motion Untimely ML20076J1201983-06-16016 June 1983 Petition for Leave to File Amicus Curiae Brief Re Miami Valley Power Project Motion to Reopen Record to Admit Eight Contentions on QA & Character & Competence.Requests Extension of Time.Certificate of Svc Encl ML20076J1361983-06-16016 June 1983 Ohio Sierra Club Amicus Curiae Brief Supporting Miami Valley Power Project Motion to Reopen Record to Admit Eight Contentions.Contentions Provide Evidence That QA Problems Exist.Certificate of Svc Encl ML20024A0801983-06-10010 June 1983 Motion of Appalachia-Science for Extension to File Previously Submitted Amicus Curiae Brief Supporting Miami Valley Power Project Renewed Attempt to Obtain Hearing on Eight QA Contentions.Certificate of Svc Encl ML20024A0771983-06-10010 June 1983 Motion of Cumberland Chapter of Sierra Club for Extension to File Previously Submitted Amicus Curiae Brief Supporting Miami Valley Power Project Renewed Attempt to Obtain Hearings on Eight QA Contentions ML20071P9121983-06-0606 June 1983 Motion for Leave to File Amicus Curiae Brief Supporting Miami Valley Power Project Motion to Reopen Record to Admit Eight Contentions on QA & Character & Competence ML20071P8901983-06-0606 June 1983 Brief Supporting Miami Valley Power Project Request to Reopen Licensing Hearing Re Plant Operation.Certificate of Svc Encl ML20071P8851983-06-0606 June 1983 Request to File Amicus Curiae Brief Supporting Miami Valley Power Project Efforts to Obtain Further Public Hearing ML20071Q0241983-06-0303 June 1983 Amicus Curiae Brief Supporting Miami Valley Power Project Motion to Reopen Record for Admission of Eight Contentions on QA & Util Character & Competence.Hearings Only Comprehensive Way to Address Problems.W/Certificate of Svc ML20023D8641983-06-0303 June 1983 Motion to Reopen Record for Admission of Eight Contentions on QA & Character & Competence Or,Alternatively,For ASLB to Exercise Discretion to Consider Whether Stds for 830715 Demonstration of Sua Sponte Authority Met ML20072N4281983-06-0202 June 1983 Motion to Reopen Record for Admission of Eight Contentions on QA & Corporate Character & Competence,Or Alternatively, for ASLB to Consider Whether Stds for 820715 Exercise of Sua Sponte Authority Exists ML20076J2001983-05-31031 May 1983 Cumberland Chapter of Sierra Club Request to File Amicus Curiae Brief Supporting Miami Valley Power Project Renewed Attempt to Obtain Hearing on Eight QA Contentions ML20076J2091983-05-20020 May 1983 Cumberland Chapter of Sierra Club Amicus Curiae Brief Supporting Miami Valley Power Project Renewed Attempt to Obtain Hearing on Eight QA Contentions.Util Cannot Be Trusted to Correct Deficiencies.Certificate of Svc Encl ML20076J1641983-05-20020 May 1983 Appalachia-Science in the Public Interest Request to File Amicus Curiae Brief Supporting Miami Valley Power Project Attempt to Obtain Hearing on Eight QA Contentions ML20076J1691983-05-17017 May 1983 Appalachia-Science in the Public Interest Amicus Curiae Brief Supporting Miami Valley Power Project Renewed Attempt to Obtain Hearings on Eight QA Contentions.Certificate of Svc Encl ML20070M1601983-01-0707 January 1983 Answer in Opposition to Miami Valley Power Project 821223 Memorandum & Motion for Notification of Future Communications & Prohibition of Further Improper Ex Parte Contacts.Nrc Correspondence & Certificate of Svc Encl ML20079J1781982-12-23023 December 1982 Supplemental Memorandum in Support of Miami Valley Power Project 820820 Petition for Reconsideration of Commission 820730 Order & Motion for Notification of All Future third- Party Communications.Certificate of Svc Encl ML20070F1091982-12-16016 December 1982 Answer Opposing Miami Valley Power Project 821130 Petition to Establish Detailed Structure for Public Participation Through Audit.Intervenor Fails to Demonstrate Process Necessary to Carry Out NRC Goals.Certificate of Svc Encl ML20070C5211982-12-10010 December 1982 Memorandum Supporting Zimmer Area Citizens-Zimmer Area Citizens of Ky & City of Mentor,Ky 821119 Petition for Appointment of Consulting Firm to Review & Monitor third- Party Audit.Certificate of Svc Encl 1984-03-20
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- f7/t)0 fAS l DESICNATED ORIGINAL
- c. Cattified By #& -r M Dsoy UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of CIUCINNATI GAS AND ELECTRIC Docket No. 50-358 COMPANY, et al. ,
(Wm H. Zimmer Nuclear Power June 11,1982 ,
Station, Unit No. 1) )
NRC STAFF RESPONSE TO MIAMI VALLEY POWER PROJECT MOTION FOR LEAVE TO FILE CONTENTIONS I. INTRODUCTION On May 18, 1982, Miami Valley Power Project (MVPP) moved for admission of eight proposed new contentions relating to quality assurance activities during construction of the Zimmer plant and the technical competence of Cincinnati Gas and Electric Company (CG&E or Applicants)tooperateanuclearpowerplant.1/ The evidentiary record in this proceeding was closed on March 4, 1982. Tr at 7979. Therefore, MVPP's Motion seeks, in effect, to have the record reopened for the pur-pose of having admitted new issues in controversy among the parties to be decided by the Licensing Board. For the reasons set forth below, the Staff supports the Motion.
II. BACKGROUND The Commission docketed CG&E's application for an operating license for the Zimmer plant on September 10, 1975. Pursuant to Notice
-1/ "MVPP's Motion for Leave to File New Contentions" served May 18 1982 (Motion) at 5-21.
gg6khfo G
r published in the Federal Register, (40 Fed. Reg. 43959), MVPP petitioned f
for leave to intervene and was admitted as an Intervenor in the proceeding.2_/ During the course of the proceeding, MVPP proposed and the Board admitted certain contentions dealing with cable trays (Contention 14) and control rods (Contentions 15 and 16) which contained a
limited aspects of quality assurance matters. However, neither MVPP nor any other Intervenor sought to directly raise as an issue in the proceeding the adequacy of the Applicants' quality assurance practices during construction of the Zininer plant.
The Commission's Region III Staff began an investigation into the Applicants' quality assurance program on January 12, 1981. On July 15, 1981, the Staff filed with the Licensing Board and parties a Board Notification (BN-81-14) which concerned an Immediate Action Letter from the Director of Region III to the Applicant dated April 8,1981 documenting the corrective measures to be taken with regard to the problems indentified by the Staff with the quality assurance practices of the Applicant and its general contractor, H. J. Kaiser Company. A second Board Notification (BN-81-52) was served on the Board and parties on December 17, 1981. As part of this Board Notification, the Staff l
l l 2_f " Order Granting Petitions for Intervention and Providing for i Hearing" dated March 19, 1976. Applicant argues that one ground
! for denying the Motion is that MVPP is no longer viable and the
! Motion is an attempt to improperly substitute a new party.
- " Applicants' Answer to Motion by Miami Valley Power Project for Leave to File New Contentions" dated June 2, 1982 (Applicants' Answer) at 5-11. The Applicants, for the most part, rely for
, support of their argument on extra record statements and inferences l that the Applicants draw from such statements. The Staff does not I have facts regarding this allegation. In these circumstances the Board may well wish to develop more fully the facts regarding this allegation.
y ._ _ _ . . . - _ . .
enclosed a letter from Richard C. DeYoung, Director, Office of Inspection and Enforcement, to W. H. Dicthoner, President, CG&E, dated November 24, 1981, which summarized the Staff's investigation of the quality assurance program at Zimmer and had as an attachment a Notice of Violation and proposed imposition of civil penalties in the sum of e
$200,000.00. Also included as part of the Board Notification was Chairman Palladino's letter of November 16, 1981 to Congressman Udall discussing the August 7, 1981 report of the Commission's Office of Inspector and Auditor which was critical of the initial investigation by the Commission's Office of Inspection and Enforcement. Finally, the Bocrd Notification advised the Board and parties that the voluminous documentation supporting the two letters was being placed in the PDR and LPDR.
During this period the record in this proceeding remained open for the receipt of evidence on the remaining issues in controversy among the parties. On March 4,1982, the record was closed and all parties have submitted proposed Findings of Fact and the Board's initial decision is expected shortly. MVPP now requests leave to file new contentions.
III. DISCUSSION MVPP's Motion, in effect, seeks to have the record reopened and to have new contentions admitted for litigation. Separate legal standards govern the consideration of motions to reopen an NRC proceeding and the introduction of a late contention in any such proceeding. The Staff notes that the Applicar.ts have discussed the legal standards in great detail in their answer in opposition to MVPP's Motion. Applicants'
Answer at 11-43. The Staff agrees that the standards for reopening a record in Commission proceedings are enunciated in Kansas Gas and Electric Company (Wolf Creek Generating Station, Unit No.1), ALAB-462, 7 NRC 320, 338 (1978). Therein, the Appeal Board stated that the proponent of a Motion to reopen the record bears a heavy burden. The movant must demon-e strate that: (1)themotionistimely,(2)themotionisdirectedtoa significant safety or environmental issue, and (3) a different result would have been reached initially had the material submitted in support of the motion been considered. These standards were reiterated in Public Service Company of Oklahoma, et al. (Black Fox Station, Units 1 and 2),
ALAB-573, 10 NRC 775, 804 (1979), where, as here, the motion to reopen was filed after the record was closed but prior to issuance of a decision by the Licensing Board.
MVPP does not address the issue of reopening the record in its Motion.E Under such circumstances, the Staff would normally argue that the movant has not met it., burden. However, there are special circumstances 11 this case which cause the Staff to support reopening the record. The safety issue which MVPP has raised is a most serious one. It is an issue which must be explored in sufficient depth to permit a confident judgment on it before reactor operation is 3/ MVPP does address the matter of the nontimely filing of its proposed contention in its Motion. MVPP, while acknowledging the lateness of filing its new proposed contentions, asserts that all five criteria of 10 C.F.R. % 2.714(a)(1) have been satisfied. In the alternative, MVPP argues that its proposed contentions so seriously challenge the safety of the Zimmer plant that the Board should exercise its discre-tion to admit them even if some of the Section 2.714(a)(1) require-ments are not met. Motion at 22. MVPP set out its arguments as to how the criterda have been satisfied. Motion at 23-26.
4 licensed. The earlier finding of a breakdown in the Applicants' quality assurance program reached in the Region III investigation has been ,
widely disseminated in the Cincinnati area. The public interest in having this serious safety issue litigated in the open and thereby affording the public the opportunity to be fully apprised on the matter warrants the exercise of the Board's discretion to reopen the record.4/ '
The Staff recognizes that there is validity to the Applicants' state- -
ment of the applicable law contained in Applicants' Answer. However, the breakdown in the Applicants' quality assurance program which has resulted in construction defects, and which, in the course of the ongoing investigation, may result in the discovery of more construction defects at the Zimmer plant raises a serious safety question. The information regarding the extent of the construction defects has the potential for resulting in the possible denial of an operating license.
In the special circumstance 3 of this case, the Staff's position is that the public interest is best served by the Board reopening the record and admitting the eight contentions proffered by MVPP as issues in contro-versy.EI l -4/ See, Union Electric Company (Callaway Plant, Unit 1), Memorandum and Drder (On Motion for admission of additional evidence) l (April 26, 1982). Guided by the particular circumstances involved
! in that case, the Licensing Board exercised its discretion to open l
the record for the admission of a document.
-5/ In its Motion, MVPP states that by separation motion, it will request a protective order so that the identity of its potential witnesses "be kept confidential from all except the Board." Motion at 28. The Staff believes it would be premature to address this matter now but will do so when the motion is filed.
i l
l
[
l l
I_
CONCLUSION For the above reasons, the Staff's supports reopening the record and granting MVPP's Motion to file additional contentions.
Respectfully submitted, WAN Stuart A. reby Assistant Chief Hea ng Counsel
- for NRC Counsel Dated at Bethesda, Maryland this lith day of June, 1982 I
l i
UNITED STATES OF AMERICA NUCLEAR REGULATORY COP 911SSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of CINCINNATI GAS AND ELECTRIC Docket No. 50-358 COMPANY, et al.
(Wm. H. Zimmer Nuclear Power Station, Unit No. 1) )
NOTICE OF APPEARANCE Notice is hereby given that the undersigned attorney herewith enters an appearance in the above-captioned proceeding. In accordance with 9 2.713(b),10 C.F.R. Part 2, the following information is provided:
Name -
Stuart A. Treby Address -
U.S. Nuclear Regulatory Comission Office of the Executive Legal Director Washington, DC 20555 Telephone Number -
Area Code 301 - 492-8661 Admission -
Supreme Court of the United States Court of Appeals for the State of New York Name of Party -
NRC Staff U.S. Nuclear Regulatory Commission Washington, DC 20555 hAV k-
'Stuart A. Treby I
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AssistantChiefHeari1gCounsel For NRC Staff Dated at Bethesda, Maryland this lith day of June 1982 i
l' UNITED STATES OF AMERICA NUCLEAR REGULATORY C0!!MISS'0N BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of CINCINNATI GAS AND ELECTRIC Docket No. 50-358 COMPANY, et al, (Wm. H. Zimmer Nuclear Power )
Station, Unit No. 1) ) 3 CERTIFICATE OF SERVICE I hereby certify that copies of "NRC STAFF RESPONSE TO MIAMI VALLEY POWER PROJECT MOTION FOR LEAVE TO FILE CONTENTIONS," and " NOTICE OF APPEARANCE" for Stuart A. Treby in the above-captioned proceeding have been served on the following by deposit in the United States mail, first class or, as indicated by an asterisk, through deposit in the Nuclear Regulatory Connission's internal mail system, this lith day of June, 1982.
John H. Frye, III, Chairman
- Timothy S. Hogan, Jr. , Chairman Administrative Judge Board of Commissioners Atomic Safety and Licensing Board 50 Market Street U.S. Nuclear Regulatory Commission Clermont County Batavia Ohio 45103 Dr. Frank F. Hooper Administrative Judge William J. Moran, Esq.
School of Natural Resources General Counsel University of Michigan Cincinnati Gas & Electric Co.
Ann Arbor, Michigan 48109 P.O. Box 960 Cincinnati, OH 45201 Dr. M. Stanley Livingston Administrative Judge Andrew B. Dennison, Esq.
1005 Calle largo 200 Main Street Santa Fe, New Mexico 87501 Batavia, OH 45103 Troy B. Conner, Esq. Mr. Samuel H. Porter Conner & Wetterhahn Porter,' Wright, Morris & Arthur 1747 Pennsylvania Avenue, N.W. 37 West Borad Street Washington, DC 20006 Columbux, OH 43215 John D. Woliver, Esq. Deborah Webb, Esq.
Legal Aid Society 7967 Alexandria Pike P.O. Box #47 Alexandria, KY 4100 550 Kilgore Street Batavia, Ohio 45103
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Lawrence R. Fisse Esq. Lynne Bernabei, Esq.
Assistant Prosecuting Attorney Government Accountability .
462 Main Street Project /IPS Batavia, Ohio 45103 1901 Q Street, N.W.
Washington, DC 20009 W. Peter Heile, Esq.
Assistant City Solicitor Room 214, City Hall -
Cincinnati, Ohio 45220 ,
Atomic Safety and Licensing Board Panel
- U.S. Nuclear Regulatory Comission Washington, DC 20555 Atomic Safety and Licensing Appeal Board
- U.S. Nuclear Regulatory Comission Washington, DC 20555 Docketing and Service Section*
Office of the Secretary U.S. Nuclear Regulatory Commission Washington, DC 20555 David Martin, Esq.
Capital Building Room 18 Frankfort, KY 40601 Brian Cassidy, Esq.
Regional Counsel FEftA REGION I SW McCormack P0CH Boston, Massachusetts 02109 Str t, S. W.
Washington, DC 20472 Stuart A. Treby Assistant Chief Heari g Counsel for NRC Staff
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