|
---|
Category:Congressional Correspondence
MONTHYEARML23097A0822023-04-0606 April 2023 LTR-23-0084 Senator Charles Schumer Et Al., Letter Regarding Holtec Decommissioning Internationals Decision to Expedite Its Planned Release of Over One Million Gallons of Radioactive Wastewater from the Indian Point Energy Center Into the H ML21235A1002021-09-13013 September 2021 LTR-21-0219-1 Letter Response to Senator Chuck Schumer Et Al Letter Re Comments for the July 29, 2021 Government to Government Meeting Regarding Indian Point ML21235A1012021-09-13013 September 2021 LTR-21-0219-1 Enclosure Response to Senator Chuck Schumer, Et Al., Letter Comments for the July 29, 2021 Government-to-Government Meeting Regarding Indian Point ML21077A2732021-03-25025 March 2021 03-25-21 Letter to the Honorable Charles E. Schumer, Et Al., from Chairman Hanson Responds to Letter Regarding Concerns Related to the Commission'S Recent Decision to Deny Hearing Requests in the Indian Point Energy Center License Transfer ML21054A1992021-02-22022 February 2021 LTR-21-0062 Senator Charles Schumer, Et Al., Concerns Denial of the Hearing Requests Submitted Regarding the License Transfer from Entergy to Holtec for the Decommissioning of Indian Point and Urges the NRC to Reverse This Decision Under It ML21022A2212021-02-0505 February 2021 Letter to Senator Charles Schumer from Margaret Doane Response for NRC to Reconsider Its Decision to Not Allow for a Public Hearing in the Transfer of Indian Point'S License ML20336A2932020-11-20020 November 2020 Letter to the Honorable Charles E. Schumer Et Al., from Margaret M. Doane, Executive Director for Operations Re a Public Hearing in the Transfer of Indian Point'S License ML20328A2632020-11-16016 November 2020 LTR-20-0421 Senators Schumer and Gillibrand, and Representatives Lowey, Maloney, and Engel Letter Calling on the NRC to Reconsider Its Decision to Not Allow for a Public Hearing in the Transfer of Indian Point'S License ML20262H1382020-09-18018 September 2020 Letter from David C. Lew to Congresswoman Nita Lowey Regarding Indian Point Virtual Plant Safety Assessment, the Proposed License Transfer, and the Nrc'S Reviews Regarding the 42-inch Alonquin Incremental Market Natural Gas Pipeline ML20262H1842020-09-18018 September 2020 Letter from David C. Lew to Senator Kirsten Gillibrand Regarding Indian Point Virtual Plant Safety Assessment, the Proposed License Transfer, and the Nrc'S Reviews Regarding the 42-inch Alonquin Incremental Market Natural Gas Pipeline ML20087M2782020-03-11011 March 2020 LTR-20-0116 Sandra Galef, Assemblywoman, New York State Legislature, Et Al., Letter Inspector General'S Report on Concerns Pertaining to Gas Transmission Lines at the Indian Point Nuclear Power Plant Case No. 16-024 ML20023B3292020-01-21021 January 2020 LTR-20-0019 Senator Charles Schumer, Et Al., Letter Request for NRC to Extend the Public Comment Period for the License Transfer for Indian Point ML19329C9922019-11-21021 November 2019 LTR-19-0459 Senator Charles Schumer, Et Al., Letter to Holtec Regarding Oversight of the Decommissioning Process and the Potential Transfer of Indian Point'S Nuclear Regulatory Commission License from Entergy Corporation to Holtec Internati ML16208A4302016-08-15015 August 2016 08/15/16, Letter to Congressman Maloney from Chairman Burns responds to this letter with concerns regarding the restart of Indian Point Energy Center Unit 2 and the need for a safety review of Unit 3 ML16196A3832016-07-14014 July 2016 Acknowledgement Receipt of Letter to Congressman S.P. Maloney Letter Submitted to NRC on 06/17/2016 ML16196A3662016-06-17017 June 2016 LTR-16-0374: Representative Sean Patrick Maloney, Letter Concern with Restarting Operations at Indian Point Unit 2 Without Having Completed a Comprehensive Root Cause Analysis That Includes Metallurgical Testing of the Failed Baffle Bolts ML16146A2332016-06-0303 June 2016 06/03/2016 - Letter to Senator Kirsten Gillibrand from Chairman Burns re: Degraded Baffle Former Bolts at Indian Point, Unit 2 ML16146A2022016-06-0303 June 2016 06/03/2016 - Letter to Senator Barbara Boxer, Kirsten Gillibrand and Cory Booker from Chairman Burns re: Degraded Baffle Former Bolts at Indian Point Nuclear Power Plant, Salem Nuclear Plants and Diablo Canyon Power Plant ML16145A0722016-05-20020 May 2016 LTR-16-0285 Senator Barbara Boxer Et Al., Letter Degraded Baffle Former Bolts at Indian Point Nuclear Power Plant, Salem Nuclear Plants and Diablo Canyon Power Plant ML16132A3672016-05-10010 May 2016 LTR-16-0268 - Senator Kirsten Gillibrand, Congress, Ltr Degraded Baffle Former Bolts at Indian Point, Unit 2 ML16068A2322016-03-29029 March 2016 Letter to Senator Kirsten Gillibrand from Chairman Burns Accidental Release of Radioactive Material Into the Groundwater at the Indian Point Energy Center ML16055A4742016-03-10010 March 2016 03/10/16, Letter to the Honorable Nita Lowey from Chairman Burns Responds to her Letter Regarding the Recent Tritium Leak at the Indian Point Energy Center ML16050A4322016-02-18018 February 2016 LTR-16-0086 - Senator Kirsten Gillibrand, Letter re: Accidental Release of Radioactive Material into the Groundwater at the Indian Point Energy Center ML16074A0922016-02-11011 February 2016 02-11-16 Ack Ltr to Congresswoman Lowey Regarding a Tritium-Contaminated Water Leak Into Groundwater at Indian Point Energy Center ML16040A2712016-02-0808 February 2016 LTR-16-0061 - Representative Nita Lowey Letter Recent Tritium Leak Into the Groundwater at the Indian Point Energy Center ML15159A8652015-06-24024 June 2015 Ltr to Congresswoman Nita M. Lowey from Chairman Burns Responds to Her Letter to Build a New Gas Pipeline About one-quarter Mile from the Indian Point Energy Center Units 2 and 3 Reactors ML15153A2082015-06-16016 June 2015 Letter to Congresswoman Nita Lowey, from Chairman Burns Regarding Nuclear Safety at the Indian Point Energy Center Following a Transformer Fire on Ma 9, 2015 (Response) ML13234A0642013-08-20020 August 2013 08-20-13 Acknowledgment Letter to the Honorable Nita Lowey Signed Petition by Residents of New York and New Jersey on the Relicensing Renewal Requests for Reactors 2 and 3 at Indian Point (G20130601) ML13231A2412013-08-19019 August 2013 Limited Appearance Statement of Nita M. Lowey, U.S. Congress, Opposing Indian Point License Renewal ML13231A2242013-08-19019 August 2013 G20130601/LTR-13-0682-Ticket - Representative Nita Lowey Ltr. Signed Petition by Residents of New York and New Jersey, Urging the NRC to Deny the Relicensing Renewal Requests for Reactors 2 and 3 at Indian Point Entergy Center in Buchanan, ML13231A2222013-08-19019 August 2013 G20130601/LTR-13-0682 - Representative Nita Lowey Letter Signed Petition by Residents of New York and New Jersey, Urging the NRC to Deny the Relicensing Renewal Requests for Reactors 2 and 3 at Indian Point Entergy Center in Buchanan, Ny ML13141A3582013-05-0606 May 2013 G20130396/LTR-13-0439 - Senator Kirsten Gillibrand Ltr. Findings from a Recent Gao Report (March 2013) and the Lack of Information as to How Residents Outside of the 10-Mile Emergency Planning Zone Would React in an Emergency ML12340A7112012-07-12012 July 2012 Official Exhibit - ENT000544-00-BD01 - Letter from A. Macfarlane, Chairman, NRC, to E. Markey, U.S. Congressman, Regulatory Commitments (July 12, 2012) ML12233A7072012-07-12012 July 2012 Entergy Pre-Filed Hearing Exhibit ENT000544 - Letter from A. Macfarlane, Chairman, NRC, to E. Markey, U.S. Congressman, Regulatory Commitments (July 12, 2012) ML12318A0302012-03-16016 March 2012 State of New York Pre-Filed Evidentiary Hearing Exhibit NYS000461, Regulations and Policies to Undertake Safety and Other Improvements by NRC Licensees as Part of License Extension Proceedings (EDATS: SECY-2012-0131) ML15331A1592012-03-16016 March 2012 Official Exhibit - NYS000461-00-BD01 - Regulations and Policies to Undertake Safety and Other Improvements by NRC Licensees as Part of License Extension Proceedings (EDATS: SECY-2012-0131) ML12080A1512012-03-13013 March 2012 G20120186/LTR-12-0100/EDATS: SECY-2012-0127 - Ltr. Fm Rep. Nita M. Lowey Concerns About Evacuation Plans for Impacts of a Fukushima-Level Accident at Indian Point ML11270A0772011-09-26026 September 2011 Response of EDO to Representative Lowey Letter Regarding Replacement Power for IP2 and IP3 ML11265A1392011-09-26026 September 2011 G20110686/LTR-11-0482/EDATS: SECY-2011-0514 - Ltr to Rep. Nita M. Lowey Fm R. W. Borchardt Regulation Identification Number (Rule) Flexibility on Relicensing Terms - Indian Point ML11263A2632011-09-16016 September 2011 Letter from the Secretary in Response to Congresswoman Nita Lowey'S Letter of August 15, 2011 ML11263A0102011-08-15015 August 2011 G20110686/LTR-11-0482/EDATS: SECY-2011-0514 - Ltr. Rep. Nita M. Lowey Regulation Identification Number (Rule) Flexibility on Relicensing Terms - Indian Point ML11210B4222011-07-21021 July 2011 G20110552/LTR-11-0432/EDATS: SECY-2011-0430 - Ltr. Nita Lowey Indian Point Safety Concerns CY-92-223, G20110523/LTR-11-0411/EDATS: SECY-2011-0411 - Ltr. from Rep. E.J. Markey to Chairman Jaczko NRC Safety Requirements for Reactors Granted Construction Permits Prior to 19712011-07-14014 July 2011 G20110523/LTR-11-0411/EDATS: SECY-2011-0411 - Ltr. from Rep. E.J. Markey to Chairman Jaczko NRC Safety Requirements for Reactors Granted Construction Permits Prior to 1971 ML11171A5182011-06-22022 June 2011 G20110418/LTR-11-0322/EDATS: SECY-2011-0328 - Ltr to Rep. Nita M. Lowey from R. W. Borchardt Nrc'S Annual Assessment Meeting for Indian Point Energy Center ML11329A0452011-05-31031 May 2011 Acknowledgement Letter to Honorable Kirsten E. Gillibrand, U.S. Senate, Requesting a Review of All Past Agreements and Exemptions Granted to the Licensee of the Indian Point Nuclear Generating Stations ML11159A1382011-05-26026 May 2011 G20110418/LTR-11-0322/EDATS: SECY-2011-0328 - Ltr. Nita M. Lowey Nrc'S Annual Assessment Meeting for Indian Point Energy Center ML11147A1002011-05-24024 May 2011 G20110384/LTR-11-0315/EDATS: SECY-2011-0312 - Ltr. from Sen. Kirsten E. Gillibrand Recent Inspection of Indian Point Nuclear Generating Units 2 & 3 ML11172A1582011-04-29029 April 2011 G20110462/LTR-11-0259/EDATS: SECY-2011-0367 - Ltr. Sen. Kirsten E. Gillibrand, Indian Point - Safety Concerns ML1109400682011-03-24024 March 2011 LTR-11-0171 - Ltr. Rep. Nita Lowey Urges the White House to Coordinate with the NRC and FEMA to Ensure the Soundness of the Emergency Evacuation Process and Give Full Consideration of the Risks and Consequences Associated with Indian Point ML1015905462010-06-0303 June 2010 LTR-10-0195 - Response to Request from REP Nita Lowey Regarding Shortfall of Decommissioning Funds for Indian Point Unit 2 2023-04-06
[Table view] Category:Letter
MONTHYEARML24240A1692024-09-18018 September 2024 Cy 2023 Summary of Decommissioning Trust Fund Status IR 05000003/20240022024-08-0606 August 2024 NRC Inspection Report 05000003/2024002, 05000247/2024002, 05000286/2024002 PNP 2024-030, Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 02024-08-0202 August 2024 Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 0 ML24171A0122024-06-18018 June 2024 Reply to a Notice of Violation EA-24-037 ML24156A1162024-06-0404 June 2024 Correction - Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations ML24151A6482024-06-0303 June 2024 Changes in Reactor Decommissioning Branch Project Management Assignments for Some Decommissioning Facilities IR 05000003/20240052024-05-21021 May 2024 And 3 - NRC Inspection Report Nos. 05000003/2024005, 05000247/2024005, 05000286/2024005, 07200051/2024001, and Notice of Violation ML24128A0632024-05-0707 May 2024 Submittal of 2023 Annual Radiological Environmental Operating Report L-24-009, HDI Annual Occupational Radiation Exposure Data Reports - 20232024-04-29029 April 2024 HDI Annual Occupational Radiation Exposure Data Reports - 2023 ML24116A2412024-04-25025 April 2024 Annual Environmental Protection Plan Report ML24114A2282024-04-23023 April 2024 Annual Radioactive Effluent Release Report L-24-007, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI)2024-03-29029 March 2024 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI) ML24080A1722024-03-20020 March 2024 Reply to a Notice of Violation EA-2024-010 IR 05000003/20240012024-03-20020 March 2024 NRC Inspection Report Nos. 05000003/2024001, 05000247/2024001, and 05000286/2024001 (Cover Letter Only) ML24045A0882024-02-22022 February 2024 Correction to the Technical Specifications to Reflect Appropriate Pages Removed and Retained by Previous License Amendments ML24053A0642024-02-22022 February 2024 2023 Annual Fitness for Duty Program Performance Data Report and Fatigue Management Program Data Report IR 05000003/20230042024-02-22022 February 2024 NRC Inspection Report Nos. 05000003/2023004, 05000247/2023004, 05000286/2023004, and 07200051/2023004 and Notice of Violation ML24011A1982024-01-12012 January 2024 ISFSI, Notice of Organization Change for Site Vice President ML23342A1082024-01-0909 January 2024 – Independent Spent Fuel Storage Installation Security Inspection Plan ML23353A1742023-12-19019 December 2023 ISFSI, Emergency Plan, Revision 23-04 L-23-019, Proof of Financial Protection 10 CFR 140.152023-12-18018 December 2023 Proof of Financial Protection 10 CFR 140.15 ML23326A1322023-12-0505 December 2023 Issuance of Amendment No. 67, 300 & 276 to Implement the Independent Spent Fuel Storage Installation Only Emergency Plan ML23339A0442023-12-0505 December 2023 Issuance of Amendment No. 68, 301 and 277 Regarding Changes to Implement the Independent Spent Fuel Storage Installation Physical Security Plan ML23338A2262023-12-0404 December 2023 Signed Amendment No. 27 to Indemnity Agreement No. B-19 ML23356A0212023-12-0101 December 2023 American Nuclear Insurers, Secondary Financial Protection (SFP) Program ML23242A2772023-11-30030 November 2023 NRC Letter Issuance - IP LAR for Units 2 and 3 Renewed Facility Licenses and PDTS to Reflect Permanent Removal of Spent Fuel from SFPs ML23338A0482023-11-30030 November 2023 ISFSI, Report of Changes to Physical Security, Training and Qualification, Safeguards Contingency Plan, and ISFSI Security Program, Revision 28 ML22339A1572023-11-27027 November 2023 Letter - Indian Point - Ea/Fonsi Request for Exemptions from Certain Emergency Planning Requirements for 10 CFR 50.47 and 10 CFR Part 50, Appendix E IR 05000003/20230032023-11-21021 November 2023 NRC Inspection Report Nos. 05000003/2023003, 05000247/2023003, 05000286/2023003, and 07200051/2023003 ML23100A1252023-11-17017 November 2023 Letter and Enclosure 1 - Issuance Indian Point Energy Center Units 1, 2, and 3 Exemption for Offsite Primary and Secondary Liability Insurance Indemnity Agreement ML23100A1172023-11-17017 November 2023 NRC Response - Indian Point Energy Center Generating Units 1, 2, and 3 Letter with Enclosures Regarding Changes to Remove the Cyber Security Plan License Condition ML23050A0032023-11-17017 November 2023 Letter - Issuance Indian Point Unit 2 License Amendment Request to Modify Tech Specs for Staffing Requirements Following Spent Fuel Transfer to Dry Storage ML23100A1432023-11-16016 November 2023 Letter - Issuance Indian Point Energy Center Generating Units 1, 2, and 3 Exemption Concerning Onsite Property Damage Insurance (Docket Nos. 50-003, 50-247, 50-286) L-23-012, Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point2023-11-13013 November 2023 Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point ML23064A0002023-11-13013 November 2023 NRC Issuance for Approval-Indian Point EC Units 1, 2 and 3 Emergency Plan and Emergency Action Level Scheme Amendments ML23306A0992023-11-0202 November 2023 And Indian Point Energy Center, Notification of Changes in Schedule in Accordance with 10 CFR 50.82(a)(7) ML23063A1432023-11-0101 November 2023 Letter - Issuance Holtec Request for Indian Point Energy Center Generating Units 1, 2, and 3 Exemptions from Certain Emergency Planning Requirements of 10 CFR 50.47 and Part 50 ML23292A0262023-10-19019 October 2023 LTR-23-0211-RI Thomas Congdon, Executive Deputy, Department of Public Service, Chair, Indian Point Decommissioning Oversight Board, Letter Independent Spent Fuel Storage Installation Inspection and Office of the Inspector General Report-RI ML23289A1582023-10-16016 October 2023 Decommissioning International - Registration of Spent Fuel Casks and Notification of Permanent Removal of All Indian Point Unit 3 Spent Fuel Assemblies from the Spent Fuel Pit ML23270A0082023-09-27027 September 2023 Registration of Spent Fuel Casks ML23237A5712023-09-22022 September 2023 09-22-2023 Letter to Dwaine Perry, Chief, Ramapo Munsee Nation, from Chair Hanson, Responds to Letter Regarding Opposition of the Release and Dumping of Radioactive Waste from Indian Point Nuclear Power Plant Into the Hudson River ML23242A2182023-09-12012 September 2023 IPEC – NRC Response to the Town of New Windsor, Ny Board Certified Motion Letter Regarding Treated Water Release from IP Site (Dockets 50-003, 50-247, 50-286) ML23250A0812023-09-0707 September 2023 Registration of Spent Fuel Casks ML23255A0142023-08-31031 August 2023 LTR-23-0211 Thomas Congdon, Executive Deputy, Department of Public Service, Chair, Indian Point Decommissioning Oversight Board, Letter Independent Spent Fuel Storage Installation Inspection and Office of the Inspector General Report IR 05000003/20230022023-08-22022 August 2023 NRC Inspection Report 05000003/2023002, 05000247/2023002, 05000286/2023002, and 07200051/2023002 ML23227A1852023-08-15015 August 2023 Request for a Revised Approval Date Regarding the Indian Point Energy Center Permanently Defueled Emergency Plan and Emergency Action Level Scheme ML23222A1442023-08-10010 August 2023 Registration of Spent Fuel Casks ML23208A1642023-07-26026 July 2023 Village of Croton-on-Hudson New York Letter Dated 7-26-23 Re Holtec Wastewater ML23200A0422023-07-19019 July 2023 Registration of Spent Fuel Casks ML23235A0602023-07-17017 July 2023 LTR-23-0194 Dwaine Perry, Chief, Ramapo Munsee Nation, Ltr Opposition of the Release and Dumping of Radioactive Waste from Indian Point Nuclear Power Plant Into the Hudson River 2024-09-18
[Table view] |
Text
EDO Principal Correspondence Control FROM: DUE: 10/13/04 EDO CONTROL: G20040668 DOC DT: 09/17/04 FINAL REPLY:
Representative Sue W. Kelly Chairman Diaz FOR SIGNATURE OF : ** PRI ** CRC NO: 04-0607 Chairman Diaz DESC: ROUTING:
Cable and Raceway System at Indian Point 2 Reyes (William Lemanski) Virgilio Kane Merschoff Norry Dean DATE: 09/30/04 Burns/Cyr Dyer, NRR ASSIGNED TO: CONTACT: Rathbun, OCA RI Collins SPECIAL INSTRUCTIONS OR REMARKS:
Ref. G20040464.
rth "I a.e: S E.C'4-OV & -R 1 . WECT-O I
OFFICE OF TIHE SECRETARY CORRESPONDENCE CONTROL TICKET Date Printed:Sep 30, 2004 10:38 PAPER NUMBER: LTR-04-0607 LOGGING DATE: 09129/2004 ACTION OFFICE: EDO AUTHOR: REP Sue Kelly AFFILIATION: REP ADDRESSEE: Nils Diaz
SUBJECT:
The Commission's handling of the concerns by former Indian Point 2 employee William Lemanski...plant's cable and raceway system ACTION: Signature of Chairman DISTRIBUTION: RF, OCA to Ack LETTER DATE: 09/17/2004 ACKNOWLEDGED No SPECIAL HANDLING:
NOTES: Commission Correspondence FILE LOCATION: ADAM'S DATE DUE: 10/15/2004 DATE SIGNED:
0 EDO -- G20040668
SUE W. KELLY PLEASEREPLYTO:
19Tm DISTRICT. NEW YORK a 1127 LONGWORTH HOUSE OFFICEBUILDING WASHINGTON, DC 20515 COMMITTEE ON FINANCIAL SERVICES, VICECHAIR (202) 225-5441 CHAIRWOMAN. SUBCOMMITTEE ON OVERSIGHT SUBCOMMITTEE SUBCOMMITTEE AND INVESTIGATIONS ONFINANCIAL ANDCONSUPMAER INSTITUTIONS CREDIT ON CAPITALMARKETS, INSURANCE Qongrttq of tlje Nnittb §tata; E 21 OLD MAIN STREET,ROOM #107 FiSHKILL, NEW YORK 12524 (845) 897-5200 AND GOVERNMENT SPONSORED ENTERPRISES o a fA pr nttb !
COMMITTEE ON TRANSPORTATION El ORANGE COUNTY GOVERNMENT CENTER 255 MAIN STREET,3RDFLOOR AND INFRASTRUCTURE SUBCOMMITTEE SUBCOMMITTEE ONHIGHWAYS, ONAVIATION TRANSITAND PIPELINES WInmj)ington, -DC20515-3219 GOSHEN, NEW YORK 10924 (845) 291-4100 SUBCOMMrTTEEONWATERRESOURCES ANDENVIRONMENT al 2025 CROMPONO ROAD COMMITTEE ON SMALL BUSINESS YORKTOWN HEIGHTS. NEW YORK 10598 SUBCOMMITTEE ON REGULATORY REFORMAND OVERSIGHT (914) 962-0761 SUBCOMMITTEE ON RURALENTERPRISES.
AGRICULTURE AND TECHNOLOGY ASSISTANT MAJORITY WHIP September 17, 2004 Dr. Nils J. Diaz Chairman U.S. Nuclear Regulatory Commission
--Washington;-DC-20006-
Dear Chairman Diaz:
The commission's handling of the concerns raised by former Indian Point 2 employee William Lemanski continues to trouble me. I am very disappointed that despite repeated requests for a complete walk-down of the plant's cable and raceway system, that this proposal has not yet been supported by the NRC.
Mr. Lemanski remains unsatisfied with the level of scrutiny given to this matter. The attached letter from David Lochbaum from the Union of Concerned Scientists seems to further underscore these concerns and compels me'to once again urge the NRC to appropriately address this issue. At a time when plant security and safety is of paramount concern to communities surrounding the Indian Point Energy Center, it is critically important that the NRC do everything it can to ensure the safe operation of this facility.
Again, I urge your support for an immediate and thorough inspection of the plant's cable and raceway system.
Your prompt attention to this request is greatly appreciated.
Sincerely, PRINTED ON RECYCLED PAPER
Union of Concerned Scientists Citizens and Scientists for Environmental Solutions September 17, 2004 Mr. Brian E. Holian, Director Division of Reactor Projects United States Nuclear Regulatory Commission Region I 475 Allendale Road King of Prussia, PA 19406-1415
SUBJECT:
- -ELECTRICAL CABLE SEPARATION SAFETY ISSUES AT INDIAN POINT ENERGY CENTER
Dear Mr. Holian:
NRC Inspection Report No. 50-247/2004009 dated August 20, 2004, documents the findings from the NRC's inquiry into the allegations made by former employee William Lemanski about cable separation issues affecting safety at Indian Point Unit 2. The NRC inspectors identified three violations of federal regulations that NRC characterized as Green in the reactor oversight process.
From January 1980 until August 1983, I worked for the Tennessee Valley Authority (TVA) at their Browns Ferry nuclear plant - the site of the infamous 1975 fire that disabled all of the safety systems used to cool the Unit I reactor and the majority of those systems on Unit 2. The near miss forced the NRC to promulgate Appendix R to 10 CFR Part 50 with expanded requirements for cable separation and fire protection. In researching TVA's extensive files on that pivotal event, I learned that the NRC's cable separation and fire protection regulations had been violated at Browns Ferry and that both TVA and the NRC had known about the many violations for a long time before the fire. TVA and NRC tolerated these many longstanding violations because they were deemed insignificant from a safety perspective - at least until the fire proved otherwise.
I truly hope that there's a difference between Indian Point Unit 2 today and Browns Ferry then other than the fact that Indian Point has not yet had a fire test its deficiencies.-But'l-do not see much in the NRC inspection report to give me that hope. The violations at Indian Point that the NRC characterized as having "very low safety significance" are no less egregious than the violations the NRC knew about prior to the Browns Ferry fire. Because comparable "very low safety significance" violations at Browns Ferry would have prevented the 1975 fire from causing serious damage had they been corrected instead of tolerated, perhaps you can understand why no one living around Indian Point should take comfort in the NRC downplaying chronic cable separation violations at Indian Point. After all, TVA could claim ignorance of the fact that "very low safety significance" violations could contribute to a major accident.
Entergy cannot claim ignorance given Browns Ferry's notoriety, leaving maybe only an insanity plea if a fire were to ravage Indian Point.
Washington Office: 1707 H Street NW Suite 600 *Washington DC 20006-3919
- FAX: 202.223.6162 Cambridge Headquarters: Two Brattle Square
- FAX: 617-864-9405 California Office: 2397 Shattuck Avenue Suite 203
September 17, 2004 Page 2 of 3 Some specific comments on the NRC's inspection report:
- 1. The NRC licensed Indian Point Unit 2 in the 1970s. At that time, the electrical cables were supposed to be properly separated. Numerous reviews and evaluations have been conducted since then to re-verify cable routing such as following the issuance of Appendix R following the Browns Ferry fire, during the 1989-1995 Cable Separation Program, and during the development and issuance of IP2-DBD-222, "Design Basis Document for Cable Separation," Rev. 1, December 17, 2003 (see page 5 of the inspection report). Despite these initial and subsequent efforts, cable separation violations continue to be found, demonstrating that Indian Point has never been in compliance with the federal safety regulations.
- 2. On page 7, the NRC stated, "Simply put, ECRIS, which is used at other plants, is not readily compatible with IP2's specialized cable separation criteria." On page 1, the NRC stated "An NRC inspection was conducted ... to review issues associated with Entergy's conversion from WIARS to ECRIS." [NOTE: WARS and ECRIS are acronyms for computer-based systems for tracking the routing of electrical cables.] On page 14, the NRC wrote, "They also acknowledged the existence of a large number of data errors in WARS." So, Entergy took the WARS database that was known to contain a large number of errors and converted it to ECRIS that was known to be incompatible with the cable separation schemes employed at Indian Point Unit 2. Collectively, the findings in the NRC inspection report strongly suggest that Entergy made a bad situation at Indian Point worse.
- 3. On page 14, the NRC stated "Because WVARS and ECRIS are not relied upon in the manual cable routing process at IP2, the cable separation experts had confidence that the DVTR anomalies were not indicative of actual cable separation issues." Later in the very same paragraph NRC stated "The IP2 designers and engineers were in general agreement that WARS had been a valuable tool in aid them in developing the design modif cation drawings (DMDs) that acted as cable separation routing schedules needed to install cables at the plant." So, WARS was not used during the manual cable routing process, but the drawings developed from WARS were used. If WARS is flawed, then the drawings developed from corrupted WARS are also suspect.
Thus, any cables routed using WARS, ECRIS, and/or the drawings developed from WARS/ECRIS may violate the cable separation criteria unless independently verified by field walk-downs.
- 4. On page 14, NRC stated "Because WVARS and ECRIS are not relied upon in the manual cable routing process at IP2, the cable separation experts had confidence that the DVTR anomalies were not indicative of actual cable separation issues." On page 16, NRC states "IVARS and ECRIS provide the only tool capable of generating cable schedules for IP2, and as such are useful as long as engineers and designers are sensitive to the inaccuraciesin the data." Several points:
- a. First, the statement on page 14 appears false. If WARS and ECRIS are the only tools for generating cable schedules, then WARS and/or ECRIS would have to be relied upon in the manual cabling routing process. [NOTE: A cable schedule is essentially the Rand McNally roadmap explaining how a cable is routed from Point A to Point B. The "roads" specify conduits, cable trays, and cable raceways.]
- b. On page 13, NRC stated "The inspectors determined that training on the use of WARS was not provided to engineers and designers in a timely or systematic manner prior to the termination of the use of WARS in May 2002." It is extremely difficult for engineers and designers to be "sensitive to the inaccuraciesin the data" unless they receive proper training, which clearly did not occur at Indian Point Unit 2. The statement about the engineers and designers being untrained but sensitive appears little more than a gratuitous attempt to gloss over a safety problem.
September 17,2004 Page 3 of 3 The NRC inspection report documented several unresolved cable separation problems that violated federal safety regulations. But since none of the few cable separation problems resolved so far revealed a major safety problem, NRC assumed that no major safety problem exists in the remaining unresolved problems. Whether NRC's guess is right or wrong is not the point. The burden is on the plant's owner to comply with regulations because compliance provides assurance of acceptable safety. Entergy has not met that burden. And the NRC is Entergy's accomplice by improperly shifting the burden from Entergy to workers like Mr. Lemanski who must now not only find cable separation violations, but find ones so significant as to shake NRC from its Rhett Butler approach to safety. Absent full compliance (and the large inventory of cable separation problems at Indian Point Unit 2 makes full compliance impossible), no one knows if the plant has acceptable safety levels.
In other words, the NRC is gambling today with known violations at Indian Point as it did in the 1970s with known violations at Browns Ferry. When the NRC lost the gamble with the 1975 fire at Browns Ferry, it reacted by promulgating more regulations. Law-making is futile when the NRC seems unable, or
-*unwilling, to prevent law-breaking.
Sincerely,
<ORIGINAL SIGNED BY>
David Lochbaum Nuclear Safety Engineer Washington Office
I.'-
t- P __ _ _ _- ) , -,.t JL S..... '-~-8 ,--'- -- :L:I.-..~...- * ~- ..->-c'-.. ^of U.S. HOUSE OF REPRESENTATIVES WASHINGTON, DC 20515-3219 PUBLIC DOCUMENT OFFICIAL BUSINESS Blk.
THIS MAILING WAS PREPARED, PUBUSHED, AND MAILED AT TAXPAYER EXPENSE Dr. Nils J. Diaz Chairman U.S. Nuclear Regulatory Commission Washington, DC 20006 I,