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Category:Letter
MONTHYEAR05000423/LER-2024-001, Loss of Safety Function and Condition Prohibited by Technical Specifications for Loss of Secondary Containment Boundary2024-10-14014 October 2024 Loss of Safety Function and Condition Prohibited by Technical Specifications for Loss of Secondary Containment Boundary IR 05000336/20244022024-10-0808 October 2024 Security Baseline Inspection Report 05000336/2024402 and 05000423/2024402 (Cover Letter Only) ML24281A1102024-10-0707 October 2024 Requalification Program Inspection 05000423/LER-2023-006-02, Pressurizer Power Operated Relief Valve Failed to Open During Surveillance Testing Resulting in a Condition Prohibited by Technical Specifications2024-09-26026 September 2024 Pressurizer Power Operated Relief Valve Failed to Open During Surveillance Testing Resulting in a Condition Prohibited by Technical Specifications ML24240A1692024-09-18018 September 2024 Cy 2023 Summary of Decommissioning Trust Fund Status ML24260A1952024-09-16016 September 2024 Response to Request for Additional Information Regarding Proposed Amendment to Support Implementation of Framatome Gaia Fuel ML24260A2192024-09-16016 September 2024 Decommissioning Trust Fund Disbursement - Revision to Previous Thirty-Day Written Notification ML24248A2272024-09-0404 September 2024 Operator Licensing Examination Approval ML24240A1532024-09-0303 September 2024 Summary of Regulatory Audit Supporting the Review of License Amendment Request for Implementation of Framatome Gaia Fuel IR 05000336/20240052024-08-29029 August 2024 Updated Inspection Plan for Millstone Power Station, Units 2 and 3 (Reports 05000336/2024005 and 05000423/2024005 IR 05000213/20240012024-08-27027 August 2024 Connecticut Yankee Atomic Power Company - Independent Spent Fuel Storage Installation NRC Inspection Report Nos. 07200039/2024001 and 05000213/2024001 IR 05000336/20240022024-08-13013 August 2024 Integrated Inspection Report 05000336/2024002 and 05000423/2024002 ML24221A2872024-08-0808 August 2024 Independent Spent Fuel Storage Installation (ISFSI) - Submittal of Cask Registration for Spent Fuel Storage IR 05000336/20244412024-08-0606 August 2024 Supplemental Inspection Report 05000336/2024441 and 05000423/2024441 and Follow-Up Assessment Letter (Cover Letter Only) ML24212A0742024-08-0505 August 2024 Request for Withholding Information from Public Disclosure - Millstone Power Station, Unit No. 3, Proposed Alternative Request IR-4-13 to Support Steam Generator Channel Head Drain Modification ML24211A1712024-07-25025 July 2024 Associated Independent Spent Fuels Storage Installation, Revision to Emergency Plan - Report of Change IR 05000336/20244032024-07-22022 July 2024 Information Request for the Cybersecurity Baseline Inspection, Notification to Perform Inspection 05000336/2024403 and 05000423/2024403 IR 05000336/20245012024-07-0101 July 2024 Emergency Preparedness Biennial Exercise Inspection Report 05000336/2024501 and 05000423/2024501 ML24180A0932024-06-28028 June 2024 Readiness for Additional Inspection: EA-23-144 IR 05000336/20240102024-06-26026 June 2024 Biennial Problem Identification and Resolution Inspection Report 05000336/2024010 and 05000423/2024010 ML24178A2422024-06-25025 June 2024 2023 Annual Report of Emergency Core Cooling System (ECCS) Model, Changes Pursuant to the Requirements of 10 CFR 50.46 IR 05000336/20244402024-06-24024 June 2024 Final Significance Determination for Security-Related Greater than Green Finding(S) with Assessment Follow-up; IR 05000336/2024440 and 05000423/2024440 and Notice of Violation(S), NRC Investigation Rpt 1-2024-001 (Cvr Ltr Only) ML24281A2072024-06-20020 June 2024 Update to the Final Safety Analysis Report, Revision 37 (Redacted Version) ML24280A0012024-06-20020 June 2024 Update to the Final Safety Analysis Report (Redacted Version) ML24177A2792024-06-20020 June 2024 Preparation and Scheduling of Operator Licensing Examinations ML24162A0882024-06-10010 June 2024 Control Room Air Conditioning Unit Inoperable Due to Refrigerant Overcharge Resulting in a Condition Prohibited by Technical Specifications ML24170B0532024-06-10010 June 2024 DOM-NAF-2-P/NP-A, Revision 0.5, Reactor Core Thermal-Hydraulics Using the VIPRE-D Computer Code ML24165A1292024-06-0505 June 2024 ISFSI, 10 CFR 50.59 Annual Change Report for 2023 Annual Regulatory Commitment Change Report for 2023 ML24128A2772024-06-0404 June 2024 Issuance of Amendment No. 290 to Revise TSs for Reactor Core Safety Limits, Fuel Assemblies, and Core Operating Limits Report for Use of Framatome Gaia Fuel (EPID L-2023-LLA-0074) (Non-Proprietary) ML24151A6482024-06-0303 June 2024 Changes in Reactor Decommissioning Branch Project Management Assignments for Some Decommissioning Facilities ML24094A0742024-05-30030 May 2024 Issuance of Exemption for Connecticut Yankee Atomic Power Company Regarding Haddam Neck Plant Independent Spent Fuel Storage Installation ML24109A0032024-05-21021 May 2024 Issuance of Amendment No. 289 to Revise Technical Specifications to Use Framatome Loss of Coolant Accident Evaluation Methodologies for Establishing Core Operating Limit (EPID L-2023-LLA-0065) (Non-Proprietary) ML24110A0562024-05-21021 May 2024 Exemption from the Requirements of 10 CFR Part 50, Section 50.46, and Appendix K Regarding Use of M5 Cladding Material (EPID L-2023-LLE-0013) (Letter) ML24141A1502024-05-20020 May 2024 Pressurizer Power Operated Relief Valve Failed to Open During Surveillance Testing Resulting in a Condition Prohibited by Technical Specifications ML24141A2432024-05-20020 May 2024 Response to Request for Additional Information Regarding Alloy 600 Aging Management Program Submittal Related to License Renewal Commitment No. 15 ML24142A0952024-05-20020 May 2024 End of Cycle 22 Steam Generator Tube Inspection Report IR 05000336/20240012024-05-14014 May 2024 Integrated Inspection Report 05000336/2024001 and 05000423/2024001 and Apparent Violation ML24123A2272024-05-0202 May 2024 Pressurizer Power Operated Relief Valve Failed to Stroke Open During Surveillance Testing Resulting in a Condition Prohibited by Technical Specifications ML24123A2042024-05-0202 May 2024 Pre-Decisional Replay to EA-23-144 IR 05000336/20244012024-04-30030 April 2024 Security Baseline Inspection Report 05000336/2024401 and 05000423/2024401 (Cover Letter Only) ML24123A1222024-04-30030 April 2024 Inservice Inspection Program - Owners Activity Report, Refueling Outage 22 ML24116A0452024-04-25025 April 2024 Special Inspection Follow-Up Report 05000336/2024440 and 05000423/2024440 and Preliminary Finding(S) of Greater than Very Low Significance and NRC Investigation Report No. 1-2024-001 (Cover Letter Only) ML24114A2662024-04-24024 April 2024 Submittal of 2023 Annual Radioactive Effluent Release Report ML24116A1742024-04-24024 April 2024 Annual Radiological Environmental Operating Report ML24103A0202024-04-22022 April 2024 Summary of Regulatory Audit in Support of License Amendment Request to Use Framatome Small Break and Realistic Large Break Loss of Coolant Accident Evaluation Methodologies for Establishing Core Operating Limits ML24106A2032024-04-15015 April 2024 2023 Annual Environmental Operating Report ML24088A3302024-04-0404 April 2024 Regulatory Audit Plan in Support of License Amendment Request to Implement Framatome Gaia Fuel ML24093A1022024-04-0101 April 2024 Alternative Request IR-4-13, Proposed Alternative Request to Support Steam Genera Tor Channel Head Drain Modification ML24093A2162024-04-0101 April 2024 Response to Request for Additional Information Regarding License Amendment Request to Use Framatome Small Break and Realistic Large Break Loss of Coolant Accident Evaluation Methodologies for Establishing Core Operating Limits IR 05000336/20240112024-04-0101 April 2024 Comprehensive Engineering Team Inspection - Inspection Report 05000336/2024011 and 05000423/2024011 2024-09-04
[Table view] Category:Rulemaking-Comment
MONTHYEARCY-17-017, Comment (18) from the Connecticut Yankee Atomic Power Company Regarding Regulatory Improvements for Power Reactors Transitioning to Decommissioning2017-06-13013 June 2017 Comment (18) from the Connecticut Yankee Atomic Power Company Regarding Regulatory Improvements for Power Reactors Transitioning to Decommissioning CY-16-014, Comment (094) of Robert Mitchell on Behalf of Connecticut Yankee Atomic Power Co on ANPR-26, 50, 52, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors2016-03-17017 March 2016 Comment (094) of Robert Mitchell on Behalf of Connecticut Yankee Atomic Power Co on ANPR-26, 50, 52, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors CY-15-026, Comment (60) from Connecticut Yankee Atomic Power Company Regarding the Advance Notice of Proposed Rulemaking for 10 CFR Part 20 - Radiation Protection2015-06-16016 June 2015 Comment (60) from Connecticut Yankee Atomic Power Company Regarding the Advance Notice of Proposed Rulemaking for 10 CFR Part 20 - Radiation Protection CY-13-027, Comment (4) of Brantley Buerger on the Draft Regulatory Basis Document to Support Potential Amendment to Regulations Concerning Nuclear Power Plant Licenses' Station Blackout Mitigation Strategies (10 CFR Part 50 and 52), (NRC-2011-0299)2013-05-0202 May 2013 Comment (4) of Brantley Buerger on the Draft Regulatory Basis Document to Support Potential Amendment to Regulations Concerning Nuclear Power Plant Licenses' Station Blackout Mitigation Strategies (10 CFR Part 50 and 52), (NRC-2011-0299) CY-12-038, Comment (16) of Jim Lenois on Behalf of Connecticut Yankee Atomic Power Company, on ANPR 50 and ANPR 52, Regarding Onsite Emergency Response Capabilities2012-06-18018 June 2012 Comment (16) of Jim Lenois on Behalf of Connecticut Yankee Atomic Power Company, on ANPR 50 and ANPR 52, Regarding Onsite Emergency Response Capabilities ML11180A1832011-06-27027 June 2011 2011/06/27-Comment (54) of Mary Ellen Marucci, Supporting Petition for Rulemaking PRM-50-96, Regarding NRC Amend Its Regulations Regarding the Domestic Licensing of Special Material L-09-081, Comment (55) of C.L. Funderburk on Behalf of Dominion Resources Services, Inc., on Proposed Rule Pr 31, Regarding Limiting the Quantitiy of Byproduct Material in a Generally Licensed Device2009-10-28028 October 2009 Comment (55) of C.L. Funderburk on Behalf of Dominion Resources Services, Inc., on Proposed Rule Pr 31, Regarding Limiting the Quantitiy of Byproduct Material in a Generally Licensed Device ML0929309822009-10-19019 October 2009 2009/10/19-Comment (26) of Mary Lampert, Et. Al., on Behalf of Pilgrim Watch on Rules PR-50 and 50, Enhancements to Emergency Preparedness Regulations. ML0919003662009-06-23023 June 2009 Comment (36) of C.L. Funderburk on Behalf of Dominion on Draft Regulatory Guide DG-4014, Radiological Surveys and Monitoring During Operations. in Regards to Pr 20,30,40,50,70 and 72, Decommissioning Planning ML0904405572009-02-0303 February 2009 Comment (114) of Pam Mcdonald on Pr 51 Consideration of Environmental Impacts of Temporary Storage of Spent Fuel After Cessation of Reactor Operation, and Pr 51 Waste Confidence Decision Update ML0726705742007-09-24024 September 2007 Comment (13) of Lisa Rainwater on Behalf of Riverkeeper on Epstein'S PRM-50-85 Re to Extend the Minimum Distance from Five to Ten Miles for Host School Pick-up Points Beyond Plume Exposure Boundary Line ML0719201582007-06-27027 June 2007 Comment (23) of Charles A. Tomes on Proposed Rules Pr 50 Regarding Industry Codes and Standards; Amended Requirements ML0717601892007-06-25025 June 2007 Comment (2) of Chris L. Funderburk Submitted by Dominion on Ucs'S PRM-73-13 Re Amend to 10 CFR Part 7, Physical Protection of Plants and Materials ML0717702482007-06-15015 June 2007 Comment (16) Submitted by Charles A. Tomes on Proposed Rule Pr 50 Regarding Industry Codes and Standards; Amended Requirements ML0716404952007-06-13013 June 2007 Comment (11) Submitted by Dominion Energy Kewaunee, Inc. (Dek), Dominion Nuclear Connecticut, Inc. (Dnc), and Virginia Electric and Power Company (Dominion), Chris L. Funderburk on Pogo and Ucs PRM-50-83 Re Amend 10 CFR Part 50 Concerning D ML0707906742007-03-19019 March 2007 Comment (59) Submitted by Eleanor I. Gavin on Massachusetts Attorney General'S PRM-51-10 Re Amend of 10 CFR Part 51 - Spent Fuel ML0707303612007-03-14014 March 2007 Comment (37) Submitted by Connecticut Coalition Against Millstone, Nancy Burton on Petition for Rulemaking PRM-51-10 - Environmental Impacts of Spent Reactor Fuel Pool Storage ML0703705632007-02-0505 February 2007 Comment (66) Submitted by Nancy Burton on Behalf of the Connecticut Coalition Against Millstone on Shaw'S PRM-51-11 Re Application of National Academy of Science BEIR-VII Standard to Dose Radiation Calculation ML0606600282006-02-0303 February 2006 Comment (106) Submitted by the Assembly State of New York, Kenneth P. Lavalle & Fred W. Thiele on Proposed Rule PR-73, Regarding Deisgn Basis Threat ML0604405372006-01-23023 January 2006 Comment (82) Submitted by Dominion Resources Services, Inc., C. L. Funderburk on Proposed Rule PR-73 Regarding Design Basis Threat ML0407005072004-03-0404 March 2004 Comment (12) Submitted by Dominion Resources Services, Inc., Chris Funderburk on Proposed Rules PR-170 and PR-171 Re Revision of Fee Schedules; Fee Recovery for Fy 2004 ML0328203602003-10-0202 October 2003 Comment (2) Submitted by Dominion Resources Services, Inc., Chris L. Funderburk on Proposed Rule PR-50 Re Emergency Planning and Preparedness for Production and Utilization Facilities ML0226203322002-09-10010 September 2002 Comment of Stephen P. Sarver on Draft Document Environmental Review Guidance for Licensing Actions Associated with NMSS Programs. ML0404800311987-07-0202 July 1987 Comment (83) of E. J. Mroczka on Advance Notice of Proposed Rule Definition of High-Level Radioactive Waste 2017-06-13
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DOCKET NUMBER PROPOSED RULE PR A
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- 4~~~~0?Y4ASI AUCLIR IftEAGIcOMPA.N (2 V 'RS6j2OO.-7 ' p :22 July 2, 1987 Docket Nos. 50-213 50-245 50-336 50423 B12580 Mr. Samuel 3. Chilk Secretary of the Commission U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Attn: Docketing and Service Branch Gentlemen:
Haddam Neck Plant Millstone Nuclear Power'Station, Unit Nos. 1, 2 and 3 Comments on Advance Notice of Proposed Rule Definition of High-Level Radioactive Wastes On February 27, 1987,(1) the Nuclear Regulatory Commission (NRC) published for public comment an Advance Notice of Proposed Rulemaking (ANPR) which would modify the definition of high-level radioactive waste in order to follow more closely the statutory definition in the Nuclear Waste Policy Act (NWPA) of 1982. Connecticut Yankee Atomic Power Company (CYAPCO) and Northeast Nuclear Energy Company (NNECO) respectfully submit the following comments on the ANPR.
Our comments pertain to the "Activated Metals" section of the Appendix to the ANPR, in which it is stated:
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- 1. "Other than perhaps a few isolated casesi all of the spent fuel assemblies
_ 1 are being stored by licensees with the hardware still attached."
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1-.4 2. "Disposal responsibility Eof the activated hardware] becomes less clear 1 %1 if licensees, seeking more efficient on-site storage, consolidated fuel themselves."
'1 NNECO and CYAPCO do not believe that It Is appropriate for the NRC to speculate in rulemaking proceedings related to the definition of a technical term either on: (a) statutory/contractual matters concerning implementation of the (0)52 Federal Register 5992, February 27, 1987
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Mr. Samuel J. Chilk B12580/Page 2 3uly 2, 1987 NWPA or (b) the degree of success that a given technology will enjoy.
Therefore, we respectfully request that the pertinent paragraphs containing the above quotations be deleted or revised to reflect the discussion below.
The cited Appendix contains information that would suggest the antithesis of item (2) above. Specifically, the Appendix states that consolidation of fuel "enables more economical storage and easier handling for transport and disposal." Indeed the potential benefits of reduced fuel shipments resulting from a national at-reactor consolidation program can be substantial. There would also be positive benefits for state traffic considerations, cask manufacturing costs and capacity requirements as well as system transportation and operation costs.
Accordingly, the volume of activated materials resulting from spent fuel consolidation activities may come from more than a "few Isolated cases."
The United States Department of Energy (DOE) has anticipated performing consolidation activities at a monitored retrievable storage (MRS) facility to achieve shipping and handling benefits relative to transportation to and disposal in a repository. These benefits are of a similar nature to those which would also accrue for at-reactor consolidation prior to shipment to an MRS or a repository.
The Federal Government is responsible for disposal of the scrap derived from utilities' fuel that would be consolidated at an MRS or a repository, and must be similarly responsible for disposal of fuel hardware derived from at-reactor consolidation programs.
Finally, the DOE, itself, has sought to clarify that it Intends to accept consolidated fuel assemblies, including the non-fuel components removed during consolidation for disposal (letter from R. H. Bauer, DOE, to 3. B. Hall, Utility Nuclear Waste Management Group, dated September 13, 1985, attached). The NRC's rulemaking should be consistent with the DOE's stated intention.
We trust that these comments will be useful In finalization of the proposed rule.
Very truly yours, CONNECTICUT YANKEE ATOMIC POWER COMPANY NORTHEAST NUCLEAR ENERGY COMPANY SEn'.,iceroczka g Senior Vice President
Mr. Samuel J. Chilk B12580/Page 3 3uly 2, 1987 cc: W. TP Russell, Region I Administrator M. L. Boyle, NRC Project Manager, Millstone -Unit No. I D. H. Jaffe, NRC Project Manager, Millstone Unit No. 2 R. L. Ferguson, NRC Project Manager, Millstone Unit No. 3 F. M. Akstulewicz, NRC Project Manger, Haddam Neck Plant T. Rebelowski, Resident Inspector, Millstone Unit Nos. 1 and 2
- 3. T. Shedlosky, Resident Inspector, Millstone Unit No. 3 P. D. Swetland, Resident Inspector, Haddam Neck Plant B. C. Rushe, Director, DOE Office of Civilian Radioactive Waste Management
Department of Energy Washington. DC 2DSS SEP1 James B. Hall, Director Utility Nuclear Waste Management Group 11 l2th Street, N.W.
Washington, D.C. 20036
Dear Mr. Hall:
This is in response to your letter of August 21, 1985 to Mr. Rusche, which requested clarification of two aspects of the Standard Contract for Disposal of Spent Nuclear Fuel and/or High-Level Radioactive Waste.
With regard to "other than standard fuel" - it is the Department's intent that all currently designed nuclear fuel, includirg that falling outside the maximum physical dimensions specifiled in Appendix E, will be subject to the same scheduling procedures. It is also the Department's intent that consolidated fuel assemblies, including the non-fuel components removed during consolidation (control spiders, thimble plugs, neutron sources,-
etc.), may be delivered for disposal in accordance with the Standard Contract subject to the same scheduling procedures as f~r otherv TueT. murther, such consolidated fuel-assemblies and associated non- fuel cmDDnenlts canned in a container provided by or approvea by the Department, will be treated as the equivalent of one fuel assembly for acceptance priority allocation purposes provided that this does not reduce the acceptance rate of other contract holGer."' Failed fuel canned in a container provided by or approved by the tepartment also will be subject to the same scheduling procedures as other spent fuel.
With regard to proof of ownership - the following two statements supplied with Appendices C and D respectively will meet the proof of ownership requirements of the Standard Contract:
Purchaser hereby certifies that the Spent Nuclear Fuel to be delivered pursuant to this Delivery Commitment Schedule has been discharged from a Civilian Nuclear Power Reactor covered by Purchaser's contract No. and that Purchaser has the legal right to deliver such Spent Nuclear Fuel to DOE for disposal.
Purchaser hereby certifies that the Spent Nuclear Fuel to be delivered pursuant to this Final Delivery Schedule has been discharged from a Civilian Nuclear Power Reactor covered by Purchaser's contract No. and that Purchaser has the legal right to deliver such Spent Nuclear Fuel to DOE for disposal.
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If I can be of further assistance in this regard, please do not hesitate to contact me.
Sincerely, Rert H. Sauer A sociate Director for Resource Management Office of Civilian Radioactive Waste Management 9.
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