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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20063N7591982-10-0606 October 1982 Withdrawal of Application for CP ML20063N7471982-10-0606 October 1982 Motion for Termination of Proceedings.Util Decided to Cancel Plant.Certificate of Svc Encl ML20055A7221982-07-15015 July 1982 Memorandum & Order Denying Jf Doherty 820615 Submittals, Treated as Motion to Reconsider ASLB 820602 Order.Motion Untimely Filed & Failed to Show Significance or Gravity of Issues ML20055A3551982-07-12012 July 1982 Amended Contention 59.Certificate of Svc Encl ML20054L5531982-07-0202 July 1982 Response Opposing Doherty 820615 Motion to Reopen Record to Add Contention 59.Motion Should Be Considered Motion for Reconsideration of ASLB 820602 Order.Timeliness & Significance of Issues Not Established.W/Certificate of Svc ML20054L4521982-07-0202 July 1982 Response Opposing J Doherty 820615 Motion to Reopen Record to Add Contention 59.Motion Fails to Establish Timeliness &/Or Significance of Issues Sought to Be Raised.Certificate of Svc Encl ML20054J9371982-06-28028 June 1982 Response Opposing J Doherty 820615 Request to Reopen Record. Request Improper & Insufficient to Support Relief.Commission Rules Cannot Be Circumvented by Refiling Same Argument After ASLB Ruling Issued.Certificate of Svc Encl ML20054F9861982-06-15015 June 1982 Motion to Reopen Record to Take Evidence on Contention 59. Gravity of Issues Warrants Reopening ML20054G0171982-06-15015 June 1982 Contention 50 Re Brown & Root Deficiencies in Quadrex Rept. Certificate of Svc Encl ML20053D6371982-06-0202 June 1982 Memorandum & Order Denying J Doherty 820422 Motion Re Contention 58 on Applicant Conduct on Reporting Violations. Applicant 820519 Motion to Strike Doherty 820514 Reply Granted ML20053A3961982-05-24024 May 1982 Order Extending Commission Time to Review ALAB-671 Until 820601 ML20053D0861982-05-24024 May 1982 Response in Opposition to Util 820519 Motion to Strike Doherty Contention 58 Re Applicant Conduct on Reporting Violations.Contention Should Be Treated as Such,Not as Motion.Certificate of Svc Encl.Related Correspondence ML20052H8621982-05-19019 May 1982 Motion to Strike J Doherty Reply to Applicant 820507 Response to Doherty 820422 Motion to Add Contention 58. Commission Rules Do Not Allow Reply.Certificate of Svc Encl ML20052H4441982-05-14014 May 1982 Reply Opposing Applicant 820507 Response to J Doherty 820422 Motion to Add Contention 58.Contention Should Be Admitted W/Amends.Aslb Should Judge Conduct of Applicants. Certificate of Svc Encl ML20052F9941982-05-12012 May 1982 Response Opposing J Doherty 820422 Motion to Add Contention 58.Intervenor Fails to Meet Required Stds to Reopen Record & for Untimely Filings.Certificate of Svc Encl ML20052F2971982-05-10010 May 1982 Order Extending Time Until 820524 for Commission to Determine Whether to Review ALAB-671 ML20052F3121982-05-0707 May 1982 Response Opposing J Doherty 820422 Motion to Add Contention Re Alleged Failure to Rept Design Defects.Substantively, Motion Is Motion to Reopen Record & Stds Have Not Been Met. Certificate of Svc Encl ML20052D1221982-04-29029 April 1982 Findings of Fact on Supplemental Issues to Tx Pirg Addl Contention 31 Re Technical Qualifications.Certificate of Svc Encl ML20052A4541982-04-22022 April 1982 Submittal of Contention 58 Re Applicant Conduct on Reporting Violations at Plant.Certificate of Svc Encl ML20054E0561982-04-21021 April 1982 Supplemental Findings of Fact on Tx Pirg Addl Contention 31 Re Technical Qualifications.Certificate of Svc Encl ML20054D5251982-04-20020 April 1982 Order Incorporating ASLB Rulings at 820412 Hearing Re Tx Pirg 820405 Motion to Enter Counsel for cross-examination & to Reconsider 820128 Order.Motion Denied But Tx Pirg Permitted to Submit Written cross-examination Questions ML20054B6981982-04-14014 April 1982 Transcript of 820414 Hearing.Pp 21,787-22,027 ML20050E2181982-04-0808 April 1982 Order Ruling on Doherty Motions.Request for Production of Bechtel Quadrex Rept Review Moot Since Applicant Furnished Rept on 820316.Motion of 820315 for Subpoena of Quadrex Corp Employees Denied W/O Prejudice ML20050J1111982-04-0606 April 1982 Answers to Second & Third Sets of Interrogatories,Questions 29 & 8 Respectively,Re Quadrex Rept.Certificate of Svc Encl. Related Correspondence ML20050E2891982-04-0505 April 1982 Answers & Objections to Doherty Sixth Set of Interrogatories.Related Correspondence ML20050E2961982-04-0505 April 1982 Answers & Objections to Seventh Set of Interrogatories. Certificate of Svc Encl.Related Correspondence ML20050C4211982-04-0202 April 1982 Objections to Request for Admissions.Requests Untimely, Irrelevant to Issues Before ASLB & Extremely & Unduly Burdensome.Certificate of Svc Encl.Related Correspondence ML20050B1141982-03-31031 March 1982 Decision ALAB-671,affirming ASLB Decision Denying R Alexander Petition to Intervene.Aslb Assessment of Untimeliness of Petition Free of Matl Error.Issue Raised No Longer Cognizable ML20050C4081982-03-31031 March 1982 Answers & Objections to Fifth Set of Interrogatories. Certificate of Svc Encl.Related Correspondence ML20042C5661982-03-30030 March 1982 Reply Opposing Tx PIRG,810315 Proposed Findings of Fact & Conclusions of Law.Proposed Findings Are Collection of Disjointed Thoughts & Facts W/No Rational Assessment of Effect on Problem or Issue Discussed.W/Certificate of Svc ML20042C6431982-03-29029 March 1982 Motion for ASLB to Call DE Sells as Witness for Tx Pirg Addl Contention 31 & Quadrex-related Matters.Testimony Needed to Explain Why NRC Did Not Immediately Obtain Quadrex Rept. Certificate of Svc Encl ML20042C6181982-03-29029 March 1982 Response Opposing J Doherty 820315 Motion for ASLB to Subpoena Quadrex Corp Employee Witnesses as ASLB Witnesses. Request Is Based on Misperception of Scope of Reopened Hearings.Certificate of Svc Encl ML20050C4791982-03-29029 March 1982 Answers & Objections to Jf Doherty Fourth Set of Interrogatories Re Tx Pirg Contention 31 & Quadrex Matters. Certificate of Svc Encl.Related Correspondence ML20050C5011982-03-26026 March 1982 Supplemental Testimony of Jh Goldberg on Technical Qualifications.Brown & Root Terminates Due to Lack of Engineering Productivity,Not Due to Allegations in Quadrex Rept ML20050C5041982-03-26026 March 1982 Testimony of Lj Sas on Tx Pirg Addl Contention 31 Re Quadrex Rept.Rept Raises No Issue as to Whether Ebasco Can Properly Engineer Project.Prof Qualifications Encl ML20050C5091982-03-26026 March 1982 Response to Jf Doherty 20th & 21st Requests for Documents. Certificate of Svc Encl ML20049K0801982-03-25025 March 1982 Answers & Objections to Interrogatories.Certificate of Svc Encl ML20049K0671982-03-25025 March 1982 Reply to Tx Pirg 820315 Addl Proposed Findings of Fact & Conclusions of Law.Certificate of Svc Encl ML20042C5201982-03-25025 March 1982 Motion to Compel Discovery from Applicant & to Postpone Evidentiary Presentations at 820412 Hearings.Applicant Objections to Interrogatories Unsupported & Necessitate Hearings Be Delayed.Certificate of Svc Encl ML20049J9651982-03-24024 March 1982 Testimony of Fr Allenspach & JW Gilray Per ASLB 810128 Order Re Doherty Renewed Motion for Addl Evidence on Tx Pirg Addl Contention 31.Quadrex Rept Does Not Alter Previous Conclusions That Applicant Technically Qualified ML20049J9701982-03-24024 March 1982 Answers to First Set of Interrogatories Re Tx Pirg Contention 31.Certificate of Svc Encl ML20049J9671982-03-24024 March 1982 Response to First Set of Interrogatories & Request for Production of Documents Re Tx Pirg Contention 31 ML20049K0841982-03-23023 March 1982 Answers & Objections to Third Set of Interrogatories. Certificate of Svc Encl ML20049K0941982-03-23023 March 1982 Answers & Objections to Second Set of Interrogatories. Certificate of Svc Encl ML20042C5481982-03-23023 March 1982 Fourth Set of Requests for Admissions Re Quadrex Rept & Tx Pirg Contention 31.Certificate of Svc Encl ML20042A2721982-03-18018 March 1982 Order Scheduling 820412-16 Evidentiary Hearing to Receive Addl Evidence in Houston,Tx ML20042A2771982-03-18018 March 1982 Memorandum & Order Denying J Doherty 820310 Motion for Postponement of 820412 Hearing on Tx Pirg Addl Contention 31 & Quadrex-related Matters.Ample Time to Complete Discovery Given.Personal Obligations Are No Excuse ML20042B2351982-03-17017 March 1982 Seventh Set of Interrogatories Re Tx Pirg Addl Contention 31 & Quadrex Rept Matters.Certificate of Svc Encl ML20042A4791982-03-17017 March 1982 Response Opposing J Doherty 820310 Motion for Postponement of 820412 Hearings.Sufficient Grounds Not Provided to Justify Delay.Certificate of Svc Encl ML20041G1711982-03-17017 March 1982 Response Opposing J Doherty 820310 Motion to Postpone 820412 Hearing on Quadrex Rept.Doherty Cannot Profit from Failure to Comply W/Aslb Order Re Completion of Discovery by Postponing Hearing.Certificate of Svc Encl 1982-07-02
[Table view] Category:PLEADINGS
MONTHYEARML20063N7471982-10-0606 October 1982 Motion for Termination of Proceedings.Util Decided to Cancel Plant.Certificate of Svc Encl ML20054L5531982-07-0202 July 1982 Response Opposing Doherty 820615 Motion to Reopen Record to Add Contention 59.Motion Should Be Considered Motion for Reconsideration of ASLB 820602 Order.Timeliness & Significance of Issues Not Established.W/Certificate of Svc ML20054L4521982-07-0202 July 1982 Response Opposing J Doherty 820615 Motion to Reopen Record to Add Contention 59.Motion Fails to Establish Timeliness &/Or Significance of Issues Sought to Be Raised.Certificate of Svc Encl ML20054J9371982-06-28028 June 1982 Response Opposing J Doherty 820615 Request to Reopen Record. Request Improper & Insufficient to Support Relief.Commission Rules Cannot Be Circumvented by Refiling Same Argument After ASLB Ruling Issued.Certificate of Svc Encl ML20054F9861982-06-15015 June 1982 Motion to Reopen Record to Take Evidence on Contention 59. Gravity of Issues Warrants Reopening ML20053D0861982-05-24024 May 1982 Response in Opposition to Util 820519 Motion to Strike Doherty Contention 58 Re Applicant Conduct on Reporting Violations.Contention Should Be Treated as Such,Not as Motion.Certificate of Svc Encl.Related Correspondence ML20052H8621982-05-19019 May 1982 Motion to Strike J Doherty Reply to Applicant 820507 Response to Doherty 820422 Motion to Add Contention 58. Commission Rules Do Not Allow Reply.Certificate of Svc Encl ML20052H4441982-05-14014 May 1982 Reply Opposing Applicant 820507 Response to J Doherty 820422 Motion to Add Contention 58.Contention Should Be Admitted W/Amends.Aslb Should Judge Conduct of Applicants. Certificate of Svc Encl ML20052F9941982-05-12012 May 1982 Response Opposing J Doherty 820422 Motion to Add Contention 58.Intervenor Fails to Meet Required Stds to Reopen Record & for Untimely Filings.Certificate of Svc Encl ML20052F3121982-05-0707 May 1982 Response Opposing J Doherty 820422 Motion to Add Contention Re Alleged Failure to Rept Design Defects.Substantively, Motion Is Motion to Reopen Record & Stds Have Not Been Met. Certificate of Svc Encl ML20042C6431982-03-29029 March 1982 Motion for ASLB to Call DE Sells as Witness for Tx Pirg Addl Contention 31 & Quadrex-related Matters.Testimony Needed to Explain Why NRC Did Not Immediately Obtain Quadrex Rept. Certificate of Svc Encl ML20042C6181982-03-29029 March 1982 Response Opposing J Doherty 820315 Motion for ASLB to Subpoena Quadrex Corp Employee Witnesses as ASLB Witnesses. Request Is Based on Misperception of Scope of Reopened Hearings.Certificate of Svc Encl ML20042C5201982-03-25025 March 1982 Motion to Compel Discovery from Applicant & to Postpone Evidentiary Presentations at 820412 Hearings.Applicant Objections to Interrogatories Unsupported & Necessitate Hearings Be Delayed.Certificate of Svc Encl ML20042A4791982-03-17017 March 1982 Response Opposing J Doherty 820310 Motion for Postponement of 820412 Hearings.Sufficient Grounds Not Provided to Justify Delay.Certificate of Svc Encl ML20041G1711982-03-17017 March 1982 Response Opposing J Doherty 820310 Motion to Postpone 820412 Hearing on Quadrex Rept.Doherty Cannot Profit from Failure to Comply W/Aslb Order Re Completion of Discovery by Postponing Hearing.Certificate of Svc Encl ML20041F0871982-03-10010 March 1982 Motion for Postponement of 820412 Hearing on Tx Pirg Addl Contention 31 & Quadrex-related Matters.Addl Time Needed to Complete Discovery.Certificate of Svc Encl ML20041E1541982-03-0808 March 1982 Response Opposing D Marrack 820218 Motion for Review of Dates for Reopening Hearing & Continuance.Aslb Lacks Authority to Order Continuance Until Util Irrevocable Commitment Made.Certificate of Svc Encl ML20041E1741982-03-0505 March 1982 Brief Opposing R Alexander Appeal from ASLB 820112 Order Denying Petition to Intervene.Aslb Did Not Abuse Discretion in Denying Petition.Certificate of Svc Encl ML20041E1201982-03-0505 March 1982 Motion for Order Directing Applicant to Provide Forthcoming Bechtel Quadrex Rept Review.Rept Pertinent to Remaining Issue.Certificate of Svc Encl.Related Correspondence ML20049H8881982-03-0101 March 1982 Response Opposing D Marrack 820213 Motion for Review of Dates for Reopening Hearings & Continuance.No Commission Regulations or Atomic Energy Act Provisions Require Applicant Irrevocable Commitment.Certificate of Svc Encl ML20041C0671982-02-22022 February 1982 Response Opposing Tx Pirg 820209 Motion for Addl Time to File Proposed Findings of Fact & Conclusion of Law.Motion Mooted by Tx Pirg Filing Proposed Findings on 820212. Certificate of Svc Encl ML20041B4821982-02-22022 February 1982 Response Opposing Tx Pirg 820209 Motion for Addl Time to File Proposed Findings of Fact & Conclusions of Law.Schedule Already Extended in Consideration of Length of Record.No New Development Set Forth.Certificate of Svc Encl ML20041B5901982-02-13013 February 1982 Motion for Postponement of All Action on CP Application Until Applicant States That Util Irrevocably Committed to Building Plant If CP Received.Certificate of Svc Encl ML20040H0761982-02-0909 February 1982 Motion for 30 Addl Days to File Proposed Findings of Fact & Conclusions of Law.Length of Record Necessitates Extension. Decision Would Not Be Delayed Since Addl Hearings to Be Held in Apr 1982 ML20040E2781982-01-29029 January 1982 Requests for Clarification Re R Alexander 811130 Petition to Intervene.J Silberg Indicates That Order Denying Petition Issued,But No Order Has Been Served.Certificate of Svc Encl ML20039B7481981-12-17017 December 1981 Response Opposing Tx Pirg 811207 Motions for Addl Testimony, Further Development of Record & Admission of New Contention. Motion Superficial Attempt to Delay Proceeding & Totally Devoid of Merit.Certificate of Svc Encl ML20062M6441981-12-14014 December 1981 Response Opposing Doherty 811015 Renewed Motion for Addl Evidence on Tx Pirg Contention 31.Doherty Failed to Comply W/Aslb 811110 Order.Motion Is W/O Merit & Would Cause Unnecessary Delay.Certificate of Svc Encl ML20039B0771981-12-0707 December 1981 Renewed Motion for Addl Evidence on Tx Pirg Addl Contention 31 Re Applicant Technical Qualifications.Specifies Portions of Quadrex Rept,Indicating Organizational Changes That Should Be Made.Certificate of Svc Encl ML20062M6241981-12-0707 December 1981 Motion for Tx Pirg to Present Addl Evidence,To Order Applicant to Serve Tx Pirg W/Quadrex Rept & to Rule That Need for Power Is Tx Pirg Contention.Alternatively,Requests Admittance as Tx Pirg Contention.W/Certificate of Svc ML20033B3381981-11-27027 November 1981 Response Opposing Doherty 811106 Motion to Require Applicant to Submit Addl Testimony on Need for Power.Motion Should Be Considered as Motion to Reopen Record.Issue Not Significant to Warrant Reopening.W/Certificate of Svc ML20033C0201981-11-25025 November 1981 Response Opposing Applicant 811120 Response to Doherty Motion for Addl Testimony.Motion Was Not Motion to Reopen Record Since Motion Filed Prior to Hearing Closing.Burdens Cited Under Motion to Reopen Inapplicable ML20033C0091981-11-25025 November 1981 Request for Leave to File Response to Applicant 811120 Response to Doherty Motion for Addl Testimony on Need for Power.Applicant Response Is Erroneous & Time for Completion of Evidentiary Hearing Short.Certificate of Svc Encl ML20038A8841981-11-20020 November 1981 Response Opposing Doherty 811106 Motion for Addl Testimony on Need for Power.Pleading Construed as Motion to Reopen Record.Burden of Explaining Why ASLB Would Reach Different Result Not Met.W/Certificate of Svc.Related Correspondence ML20032C1801981-11-0505 November 1981 Motion to File NRC Responses to Doherty Motion for Addl Evidence on Tx Pirg Addl Contention 31 One Day Late ML20032B3721981-10-30030 October 1981 Reply Opposing Doherty 811015 Motion to Reopen Record on Tx Pirg Addl Contention 31.Doherty Failed to Establish That Rept Controverts Specific Testimony & That Issues Are Beyond Scope of Contention.W/Certificate of Svc ML20032B3411981-10-30030 October 1981 Joint Motion to Establish Schedule to File Proposed Findings of Fact & Conclusions of Law.Parties Should Be Put on Notice of Schedule for Planning Purposes.Certificate of Svc Encl ML20031H0991981-10-15015 October 1981 Motion for Addl Evidence on Tx Pirg Addl Contention 31 Re Applicant Technical Qualifications.Addl Testimony Sought Due to Recently Released Rept on Design Deficiencies at South Tx Project ML20031A9381981-09-18018 September 1981 Request That ASLB Issue Order Re Mccorkle Contentions 14 & 17,TX Pirg Addl Contentions 6 & 40 & Doherty Contentions 5, 15,38-B,43 & 44,that Applicant & NRC Statements of Matl Facts Will Not Be Subj to Litigation.W/Certificate of Svc ML20010G1101981-09-0303 September 1981 Response to ASLB Request Re Positions on ALAB-640.Radon Emissions Determined by ALAB-640 Constitute Significant Addl Environ Impact.Certificate of Svc Encl ML20010F4791981-09-0303 September 1981 Response Opposing Further Consideration of Radon Releases. NRC Analysis of Radon Releases in Final Suppl to Fes Satisfies NEPA Requirements,Complies W/Commission 780414 Order & Supplies Sufficient Info.Certificate of Svc Encl ML20010C3341981-08-13013 August 1981 Response in Support of Applicant 810805 Motion to Strike Substantial Portion of D Marrack Supplemental Testimony. Statements Are Arguments & Not Testimony.Certificate of Svc Encl ML20010A1171981-08-0505 August 1981 Motion to Strike Marrack Prefiled Testimony.Testimony Is Not Specifically Responsive to F Sanders 810205-06 Testimony. Certificate of Svc Encl.Related Correspondence ML20009B2001981-07-13013 July 1981 Response Opposing Doherty 810622 Motion to File Contention 57 Re Vulnerability of Control Sys in Nuclear Power Plants to Electromagnetic Pulses Per Nuclear Detonations.Issue Does Not Warrant License Revisions.Certificate of Svc Encl ML20009B2031981-07-0707 July 1981 Response in Opposition to Intervenor Doherty 810622 Request for Leave to File Contention 57.No Good Cause Shown for Late Filing & No Specificity Provided.W/Science News Article & Certificate of Svc ML20005B3801981-06-22022 June 1981 Request for Leave to File & Submission of Contention 57 Re Vulnerability of Control Sys to Electromagnetic Pulses. Issue Has Not Been Made Public Until Recently.W/Certificate of Svc ML20004B6091981-05-27027 May 1981 Response Opposing Doherty 810423 Motion to Add Late Filed Contention 56.Postulated Accident Only Applicable to B&W Design Facility & Allens Creek Has Mark III Containment Design.Certificate of Svc Encl ML19347F4941981-05-0808 May 1981 Reply Opposing Doherty 810423 Filing Re Contention 56, If Filing Is Motion to Add Late Filed Contention. Contention Refs Alleged Problem at Browns Ferry Which Is Not Applicable to Mark III Containments.W/Certificate of Svc ML20008F7671981-05-0808 May 1981 Response Supporting Applicant 810422 Motion to Preclude Jm Scott Testimony.Aslb 810407 Order Forbids Scott to Serve as Counsel & Expert Witness.Certificate of Svc Encl ML19347F4661981-05-0808 May 1981 Response Opposing Doherty 810423 Motion to Reopen Record on Need for Power Contention.Aslb Should Issue Order That Motion Is Moot & Direct Applicant to Update Testimony on Need for Power Testimony Later.Certificate of Svc Encl ML20003H9551981-04-29029 April 1981 Motion for Order Adopting Specific Procedures to Govern Conduct of cross-examination During Health & Safety Phase of Proceeding.Procedures Will Ensure cross-examination Not Cumulative.W/Proposed Order & Certificate of Svc 1982-07-02
[Table view] |
Text
.
8-07-80
+U m
Occ.gD t
UNITED STATES OF AMERICA ff NUCLEAR REGULATORY COMMISSION O#*..RC I
f
~
I 2
dh 0
BEFORE THE ATOMIC SAFETY AND LICENSING BOARD f off3
^ \\3
- dI@g 3 In the Matter of
)
g e
)
%J HOUSTON LIGHTING & POWER
)
Docket No. 50-466 COMPANY
)
)
(Allens Creek Nuclear
)
Generating Station, Unit
)
No. 1)
)
APPLICANT'S MOTION TO SET A SCHEDULE FOR COMMENCING EVIDENTIARY HEARINGS On July 18, 1980, the Staff addressed a letter to the Licensing Board concerning a meeting among the Staff, Applicant and several of the intervenors held on July 10, to discuss a schedule for the completion of prehearing procedures and the commencement of evidentiary hearings.
In its letter, the Staff set forth a proposed schedule based upon discussions with the Applicant, and modified to reflect concerns raised by the intervenors at the July 10, meeting.
l The Staff also proposed that the Board hold a Prehearing l
Conference to discuss the proposed schedule.
The Board's
' Order Scheduling Prehearing Conference" dated July 22, adopted the Staff's latter proposal and set a Conference date of August 13, 1980, in order to consider:
(1) setting due dates for the responses to motions for summary dispo-sition; (2) es'tablishing dates for the filing of testimony i
susno 477
2-and commencement of the first phase of the evidentiary hearing; (3) simplifying the many contentions admitted as issues in this proceeding.
Applicant hereby moves the Board to issue a prehearing conference order adopting the schedule recommended by the Staff.
Applicant sets forth below, the reasons why the Staff's proposed schedule is fair to all the parties and should be adopted by the Board.
Applicant files this motion at this time to allow the Board to fully consider the merits of the proposed schedule in advance of the Prehearing Con-ference so that its ruling can be made at the Conference.
Such a prompt ruling will give all parties the maximum possible time to prepare testimony and respond to motions for summary disposition.
Intervenors Doherty, Baker and Marrack have separately filed either a letter er motion arguing that the Staff's proposed schedule should not be adopted.
TexPirg, although it has not submitted a written statement of its position, indicated clearly at the July 10, meeting, that it was strongly opposed to the Staff's proposal.
Applicant contends that if the Board considers the burden imposed on each of l
these parties by the proposed schedule, it is quite clear that none of them has cause to complain.
In fact, I
as discussed below, the schedula set forth in the Staff's recent letter to the Board reflects precisely the separate i
3-I interests, positions and burdens imposed on each party.
Intervenor Doherty In a motion dated July 14, 1980, intervenor John Doherty argues that it will take him until January, 1981 While to respond to motions for summary disposition.
Staff and Applicant have filed a number of motions for summary disposition on intervenor Doherty's contentions, all of this intervenor's contentions raise safety issues which would not be heard until sometime in 1981 under the Staff's schedule.
Therefore, he will not be required to prepare any testimony for the first phase of hearings during the period in which he will be responding to motions for summary disposition, nor for a significant time there-Moveover, Applicant and Staff have substantially after.
reduced the number of Mr. Doherty's contentions as to which Instead motions for summary disposition have been filed.
of filing motions for summary disposition on 33 of his con-tentions as originally intended, Staff and Applicant have filed motions on only 14.
Thus, the burden on Mr. Doherty in responding to su= mary disposition motions has been Mr.
substantially reduced.
Even by his own conservative count, Doherty could complete all of his responses before the date suqqested by Staff for filing his responses and well before the proposed commencement of hearings. /
Mr. Doherty claims it will take 5 days to prepare a response Computing 5 days
to each motion for summary disposition.
t
[ footnote continued on next page]
1 His concern that he will not be able to attend the environ-mental hearings is therefore alleviated.
Intervenor TexPirg Intervenor TexPirg has, under the proposed schedule, several environmental contentions to be litigated early in the proceeding as well as a few safety contentions on r
)
which Staff and Applicant have filed motions for summary For the reasons set forth below, the burden disposition.
placed on TexPirg is not unreasonable.
First, Applicant and Staff have filed motions for summary disposition on only five (5) of TexPirg's contentions.
l A period of approximately 60 days to respond to 5 motions for summary disposition does not, in Applicant's view, con-stitute such a heavy burden on TexPirg as to require an adjust-ment to the hearing schedule.- j Second, all of the five
[ Footnote continued from previous page.]
gives 70 days per contention, times 14 contentions,Beginning on July 18, the date on total to respond.
which Mr. Doherty was served notice of which of his contentions would be subject to motions for summary disposition, and counting forward 70 days, Mr. Doherty date proposed by the Staff, and well before the Octo-By October 1, Mr.Doherty will ber 20. hearing date.
have had Applil' ant's motionsin hand for 57 days.
The Commission's regulations permit only 20 days for the filing of responses to motions for summary dispo-
sition.
10"CFR S2.749.
_-- - ~ ~ _., _ _,
I ~
contentions which are the subject of Staff and Applicant motions for summary disposition are safety contentions.
Presumably, the experts upon whom TexPirg will rely to i
file responses on these technical safety issues will not be the same persons as those who will prepare testimony on its entirely unrelated environmental contentions.
Of course, if TexPirg does not intend to file affirmative testinonv on most or all of its environmental contentions, its burden will be very small indeed.
Finally, TexPirg's environmental contentions that are proposed for early hearing sessions are among the i
first filed by that party almost two years ago.
Accordingly, TexPirg has had a substantial amount of time to begin pre-paration for the trial of these issues.
Intervenor Baker In a letter dated July 16, 1980, intervenor Baker makes two arguments regarding the effect of the Staff's proposals on the financial qualifications intervenors. /
Intervenor
-*/
Mr. Baker also argues that the proposed schedule imposes an unf air burden on some other parties; a matter not of concern to him and which has, in any case, been addressed above.
In addition, he complains that he was not con-sulted by Staff and Applicant before they adopted and (Footnote continued on next page]
1 i
I first argues that the September 15 date recommended in the schedule for a prehearing conference is too tight.
Appli-cant cannot understand the intervenor's concern since the proposed schedule for hearing environmental issues, which runs through early 1981, does not set forth any date for the financial qualifications contention.
Since the schedule does not anticipate litigating his concerns in the first phase of hearings, no burden whatsoever has been placed upon Mr. Baker will have ample time to review and this party.
digest all of the material mentioned in his letter before the relevant hearings begin.
Intervenor Baker also argues " strenuously" about "the way in which Staff and Applicant handled the rewriting of contentions."
At the July 10, meeting, Mr. Baker expressed concern that as he understood the proposed rewording of his financial qualifications contention, it did not include the allegation that Applicant has not and will not obtain ade-quate rate relief from the Texas P.U.C.,
and that he might This therefore be precluded from litigating this question.
matter was subsequently included in the Staff's reworded contention, and the argument is therefore moot.
Intervenor Marrack Finally, intervenor Marrack has argued, in a motion dated July 23, 1980, that evidentiary hearings should not commence until April, 1981.
Dr. Marrack offers no justifi-t
[ Footnote continued from previous pagel The Board has already presented a proposed schedule.
ruled on this issue in its July 29, 1980 Order, p.2 n.l.
t
. I cation for this extended delay, and in fact, his proposal has no justification.
This intervenor has two (2) contentions admitted into this proceeding.
It is entirely unreasonable for him to expect the amount of time he has requested to prepare testimony on them.
In Applicant's view, the schedule proposed by the Staff does not impose an unreasonable burden on any party, including those who have filed no protest.
It has now been over 18 months since the first group of intervenors was admitted by this Board.
The time has arrived, finally, to consider the merits of the numerous factual issues raised by the intervenors
\\
in this proceeding.
Accordingly, Applicant requests the t
Board to adopt, at the upcoming Prehearing Conference, the schedule proposed by the Staff and begin evidentiary hearings in October, 1980.
Respectfully submitted, 4
OF COUNSEL:
Jack R.
Newman LOWENSTEIN, NEWMAN, REIS, Robert H. Culp AXELRAD & TOLL David B. Raskin 1025 Connecticut Ave., N.W.
1025 Connecticut Ave., N.W.
Washington, D.C.
20036 Washington, D.C.
20036 J. Gregory Copeland C. Thomas Biddle, Jr.
BAKER & BOTTS Darrell Hancock 3000 One Shell Plaza 3000 One Shell Plaza Hous+ an, Texas - 77002 Houston, Texas 77002
(
i UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
(
In the Matter of
)
)
HOUSTON LIGHTING & POWER COMPANY
)
Docket No. 50-466
)
(Allens Creek Nuclear Generating
)
Station, Unit 1)
)
)
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing:
APPLICANT'S MOTION TO SET A SCHEDULE FOR COMIiENCING EVIDENTIARY HEARINGS was served upon the following persons, by hand *, or by deposit in the United States Mail, first class postage prepaid, this 7th day of August, 1980.
David B.
Raskin I
I
,- -~-
I t
- Sheldon J. Wolfe, Esq., Chairman Atomic Safety and Licensing Board Panel i U.S. Nuclear Regulatory Co= mission Wcshington, DC 20555 Richard Lowerre, Esq.
Assistant Attorney General
- Dr. E. Leonard Cheatum for the State of Texas Route 3, Box 350A Watkinsville, Georgia 30677 P. O. Box 12548 Capitol Station Austin, Texas 78711
- Mr. Gustave A. Linenberger Atomic Safety and Licensing Hon. Charles J. Dusek Board Panel U.S. Nuclear Regulatory Commission Mayor, City of Wallis P. O. Box 312 Washington, DC 20555 Wallis, Texas 77485
- Chase R. Stephens Hon. Leroy H. Grebe Docketing and Service Section County Judge, Austin County Office of the Secretary of P. O. Box 99 the Commission Bellville, Texas 77418 U.S. Nuclear Regulatory Commission Washington, DC 20555 Atomic Safety and Licensing Board Panel Atomic Safety and Licensing U.S. Nuclear Regulatory Commission Appeal Board Washington, DC 20555 U.S. Nuclear Regulatory Com=ission Washington, DC 20555 I
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- Steve Schinki, Esq. 2 James M. Scott, Jr.
I Staff Counsel 13935 Ivy Mount U.S. Nuclear Regulatory Sugar Land, Texas 77478 Commission
'S Washington, DC 20555 William-Schuessler 5810 Darnell Houston, Texas 77074 Joha F. Doherty 4327 Alconbury Street Houston, Texas 77021 Stephen A. Doggett, Esq.
P. O. Box 592 Rosenberg, Texas 77471 Madeline Bass Framson 4822 Waynesboro Drive l
Houston, Texas 77035 Bryan L. Baker 1923 Hawthorne Houston, Texas 77098 i
Robert S. Framson 4822 Waynesboro Drive Houston, Texas 77035 J. Morgan Bishop Margaret Bishop 11418 Oak Spring Carro Hindersuein Houston, Texas 77043 609 Fannin Street Suite 521 W. Matthew Perrenod Houston, Te: as 77002 4070 Merrick Houston, Texas 77024 D. Marrack 420 Mulberry Lane
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Bellaire, Texas 77401 TexPIRG Att:
Clarence Johnson Executive Director Brenda McCorkle Box 237 U.C 6140 Darnell University of Houston Houston, Texas 77074 Houston, Texas 77004 F. H. Potthoff, III 7200 Shady villa, #110 Houston, Texas 77080 Wayne E. Rentfro P. O. Box 1335 Rosenberg, Texas 77471 David B. Raskin
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
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BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
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HOUSTON LIGHTING & POWER COMPANY
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Docket No. 50-466 G
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Station, Unit 1)
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CERTIFICATE OF SERVICE I hereby -::ertify that copies of the foregoing Applicant's letter of August 22, 1980, to the Chairman, ASLB Panel, in the above-captioned proceeding were served on the following by deposit in the United States mail, postage pre-1980.
paid, or by hand-delivery this 22nd day of August, Sheldon J. Wolfe, Esq., Chairman Richard Lowerre, Esq.
Atomic Safety and Licensing Assistant Attorney General Board Panel for the State of Texas U.S. Nuclear Regulatory Coeraission P. O. Box 12548 Washington, DC 20555 Capitol Station Austin, Texas 78711 Dr. E. Leonard Cheatum Route 3, Box 350A Hon. Charles J. Dusek Watkinsville, Georgia 30677 Mayor, City of Wallis P. O. Box 312 Mr. Gustave A. Linenberger Wallis, Texas 77485 Atomic Safety and Licensing Board Panel Hon. Leroy H. Grebe t
U.S. Nuclear Regulatory Commission County Judge, Austin County Washington, DC 20555 P. O. Box 99 Bellville, T..
77418 Chase R. Stephens Docketing and Service Section Atomic Safety a..c Licensing Office of the Secretary of Board Panel the Commission U.S. Nuclear Regulatory Cc:Taission U.S. Nuclear Regulatory Commission Washington, DC 20555 ilashington, DC 20555 Atomic Safety and Licensing Appeal Board U.S. Nuclear Regulatory Commission Washington, DC 20555 I
i
. Steve Schinki, Esq.
James M. E
..c, Jr.
Staff Counsel 13935 Ivy Mount U.S. Nuclear Regulatory Sugar Land, Texas 77478 Commission Washington, DC 20555 William _Schuessler 5810 Darnell John F. Doherty Houston, Texas 77074 4327 Alconbury Street Houston, Texas 77021 Stephen A. Doggett, Esq.
P. O. Box 592 Madeline Bass Framson Rosenberg, Texas 77471 4822 Waynesboro Drive Houston, Texas 770' Bryan L. Baker 1923 Hawthorne Robert S. Framson Houston, Texas 77098 4822 Waynesboro Drive Houston, Texas 77035 J. Morgan Bishop Margaret Bishop Carro Hinderstein 11418 Oak Spring 609 Fannin Street Houston, Texas 77043 Suite 521 Houston, Texas 77002 W. Matthew Perrenod 4070 Merrick D. Marrack Houston, Texas 77024 420 Mulberry Lane Bellaire, Texas 77401 TexPIRG Att:
Clarence Johnson Brenda McCorkle Executive Director 6140 Darnell Box 237 U.C Houston, Tex:ss 77074 University of Houston Houston, Texas 77004 F. H. Potthoff, III 7200 Shady Villa, #110 Houston, Texas 77080 Wayne E.
Rentfro P. O. Box 1335 Rosenberg, Texas 77471 h
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/JackR.Newman
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