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Category:Rulemaking-Comment
MONTHYEARNRC-2015-0070, Comment (011) from Andrea Altieri on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning2022-05-0606 May 2022 Comment (011) from Andrea Altieri on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning ML18157A3062018-06-0202 June 2018 Comment (036) from Betsy Smith on the Requirements for the Indefinite Storage of Spent Nuclear Fuel ML18157A3072018-06-0101 June 2018 Comment (035) of Anonymous Individual on the Requirements for the Indefinite Storage of Spent Nuclear Fuel ML18150A6382018-05-29029 May 2018 Comment (024) from Janet Azarovitz on the Requirements for the Indefinite Storage of Spent Nuclear Fuel ML17165A1972017-06-13013 June 2017 Comment (11) from Pilgrim Watch Regarding Regulatory Improvements for Power Reactors Transitioning to Decommissioning ML16084B0142016-03-18018 March 2016 Comment (142) of Susan Carpenter on Behalf of Cape Downwinders on ANPR-26, 50, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors ML16084A9962016-03-17017 March 2016 Comment (127) of Susan Carpenter on Behalf of Cape Downwinders on ANPR-26, 50, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors ML16081A4682016-03-15015 March 2016 Comment (075) of Rosanne Shapiro on ANPR-26, 50, 52, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors ML15349A8602015-12-11011 December 2015 Comment (007) of Rosemary and Cal Wilvert on ANPR-26, 50, 52, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors ML15342A0552015-11-21021 November 2015 Comment (003) of Janet Azarovitz on ANPR-26, 50, 52, 73, and 140 - Regulatory Improvements for Decommissioning Power Reactors ML13345A2672013-12-0505 December 2013 Comment (00351) of Brian O'Malley on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13339A2982013-12-0404 December 2013 Comment (00330) of Lee Roscoe on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML12201A0292012-07-16016 July 2012 Comment (262) of Robert Holt on PRM-50-104 Regarding Emergency Planning Zone ML12146A1862012-05-19019 May 2012 Comment (130) of Brooke Schoepf on PRM-50-104 Regarding Emergency Planning Zone NRC-2010-0135, Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment2011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment ML1125210392011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment ML1125211062011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 ESBWR Design Certification Amendment 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. ML0909005812009-03-26026 March 2009 Comment (1) of George J. Silvestri, Jr. on ANPR 171, Variable Annual Fee Structure for Power Reactors ML0813507272008-05-12012 May 2008 Comment (2) of Rochelle Becker, Glenn Carroll, & Mary Lampert on Behalf of the Alliance for Nuclear Responsibility, Nuclear Waste South and Pilgrim Watch Regarding Pr 50, Power Reactor Security Requirements; Supplemental Proposed Rule 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 ML0726702452007-09-23023 September 2007 Comment (12) of Mary Lampert on Behalf of Pilgrim Watch, Et. Al. on Epstein 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 ML0725405732007-09-10010 September 2007 Comment (9) of Mary Lampet on Behalf of Pilgrim Watch, Et. Al. Supporting Epstein'S PRM-50-85 to Extend the Minimum Distance from Five to Ten Miles for Host School Pick-up Points Beyond Plume Exposure Boundary Line ML0708001252007-03-20020 March 2007 Comment (61) Submitted by Wedge Bramhall on Massachusetts Attorney General'S PRM-51-10 Re Amend 10 CFR Part 51 - Spent Fuel ML0707906682007-03-19019 March 2007 Comment (57) Submitted by Judy and Howard Hall on Massachusetts Attorney General'S PRM-51-10 Re Amend of 10 CFR Part 51 - Spent Fuel ML0707906372007-03-19019 March 2007 Comment (50) Submitted by Sally Shaw on Massachusetts Attorney General'S PRM-51-10 Re Amend 10 CFR Part 51 - Spent Fuel ML0708103842007-03-19019 March 2007 Comment (64) Submitted by Paul A. Gaukler on Behalf of Entergy Corp. on Massachusetts Attorney General'S PRM-51-10 Re Amend 10 CFR Part 51 - Spent Fuel ML0707303452007-03-13013 March 2007 Comment (35) Submitted by Edward and Charlotte Russell Supporting Massachusetts Attorney General'S PRM-51-10 Re Spent Fuel at the Pilgrim ML0707105622007-03-0909 March 2007 Comment (31) Submitted by Richard C. Diprima on Massachusetts Attorney General'S PRM-51-10, Re Amend 10 CFR Part 51 ML0706606322007-03-0707 March 2007 Comment (30) Submitted by Marilyn Harquail on Massachusetts Attorney General'S PRM 51-10 Re Amend 10 CFR Part 51 ML0706503682007-03-0404 March 2007 Comment (23) Submitted by Kevin W. Craig on Massachusetts Attorney General'S PRM-51-10 Re to Amend 10 CFR Part 51 ML0706503632007-03-0202 March 2007 Comment (21) Submitted by Janice Nickerson on Massachusetts PRM-51-10 Re to Amend 10 CFR Part 51 ML0706503602007-03-0202 March 2007 Comment (20) Submitted by C-10 Research and Education Foundation, Sandra Gavutis on Massachusetts Attorney General'S PRM-51-10 Re to Amend 10 CFR Part 51 ML0706503652007-03-0202 March 2007 Comment (22) Submitted by Barbara Hildt on Massachusetts Attorney General'S PRM-51-10 Re to Amend 10 CFR Part 51 ML0706101902007-03-0101 March 2007 Letter Submitted by Wedge Bramhall on Proposed Rule Pr 73, Design Basis Threat ML0705403032007-02-22022 February 2007 Comment (25) Submitted by Sheila Lynch on Proposed Rules PR-50, PR-72, and PR-73, Regarding Power Reactor Security Requirements ML0705402992007-02-22022 February 2007 Comment (24) Submitted by Pilgrim Watch, Mary Lampert on Proposed Rules PR-50, PR-72, PR-73, Regarding Power Reactor Security Requirements ML0705104132007-02-16016 February 2007 Letter from Riverkeeper, Inc., Lisa Rainwater, Et. Al. on Proposed Rule Pr 50, 72 and 73 Re Requesting an Additional 60 Day Extension of the Comment Period ML0703006712007-01-29029 January 2007 Comment (33) Submitted by Mary Lampert on Shaw'S PRM-51-11 Re Application of National Academy of Science BEIR-VII Standard to Dose Radiation Calculation ML0701805042007-01-15015 January 2007 Comment (16) Submitted by Richard Diprima on Massachusetts Attorney General'S PRM-51-10 Re to Amend 10 CFR Part 51 ML0701805202007-01-13013 January 2007 Comment (10) Submitted by Richard Diprima on Shaw'S PRM-51-11 Re Application of National Academy of Science BEIR-VII Standard to Dose Radiation Calculation ML0700804062007-01-0505 January 2007 Comment (9) Submitted by Nina Keller on Massachusetts Attorney General'S Petition for Rulemaking PRM-51-10 to Amend 10 CFR Part 51 ML0700804092007-01-0505 January 2007 Comment (10) Submitted by Lea Wood on Massachusetts Attorney General'S PRM 51-10, Regarding to Amend 10 CFR Part 51 ML0700403092006-12-26026 December 2006 Comment (6) Submitted by Rebecca J Chin on Massachusetts Attorney General'S PRM-51-10 Regarding to Amend 10 CFR Part 51 ML0636300322006-12-24024 December 2006 Comment (5) Submitted by Alliance for Nuclear Responsibility, Rochelle Becker on Massachusetts Attorney General'S PRM-51-10 Regarding to Amend 10 CFR Part 51 ML0636300292006-12-22022 December 2006 Comment (3) Submitted by Claire Chang on Massachusetts Attorney General'S PRM-51-10 Regarding to Amend 10 CFR Part 51 ML0626502212006-08-30030 August 2006 Comment from David R. Lewis of Pillsbury, Winthrop, Shaw and Pittman on Massachusetts Attorney General'S Petition for Rulemaking PRM-51-10 to Amend 10 CFR Part 51 (August 25, 2006) ML0602405872006-01-20020 January 2006 Comment (31) Submitted by Pilgrim Security Watch, M. Lampert, Et Al. E. J. Epstein, N. Cohen, S. J. Goodman, R. Becker, D. Katz and H. Moyer on Proposed Rule PR-73 Regarding Design Basis Threat ML0601801962006-01-13013 January 2006 Comment (4) Submitted by Wedge Bramhall on Proposed Rule PR-73 Regarding Design Basis Threat ML0511907172005-04-0606 April 2005 Comment (24) Submitted by Francis Mand on Proposed Rule Pr 2, 30, 40, 50, 52, 60, 63, 71, 73, 76 & 150 Re Protection of Safeguards Information 2022-05-06
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PRM-50-1 04 DOCKETED /3o Rulemaking Comments (77FR25375)
USNRC From: Brooke Schoepf [bgscs@netzero.net]
May 23, 2012 (11:45 am)Sent: Saturday, May 19, 2012 8:46 AM OFFICE OF SECRETARY To: Rulemaking Comments RULEMAKINGS AND
Subject:
Comments on PRM-50-104, Docket ID NRC-2012-0046 ADJUDICATIONS STAFF WE ENDORSE THE COMMENTS BELOW. HOWEVER, AS RESIDENTS OF CAPE COD, WE WORRY THAT THIS WILL NOT BE ENOUGH TO PROTECT OUR FAMILIES.THE TWO BRIDGES LEADING OFF THE CAPE ARE REGULARLY JAMMED ON SUMMER AND HOLIDAY WEEKENDS.
IN THE EVENT OF A NUCLEAR DISASTER, THEY WOULD BE IMPASSIBLE.
ONLY THOSE WITH BOATS COULD ESCAPE.PLEASE DO NOT RENEW THE LICENCE OF THE PILGRIM NUCLEAR PLANT!The on-going events at Fukushima demonstrate that nuclear power disasters can have sustained and far reaching effects. A major concern associated with Fukushima and other nuclear disasters is the evacuation of affected populations.
In the United States, emergency planning for nuclear emergencies has remained largely static since 1980, when regulations pertaining to emergency planning were initially enacted after the Three Mile Island accident.
These plans are outdated and do not adequately protect the health and safety of United States citizens.Specifically, the current 10-mile emergency evacuation zone does not adequately protect from the effects of ionizing radiation, despite what computer modeling and simulations may demonstrate.
The real world experiences of Fukushima and Chernobyl are direct evidence that radiation releases from nuclear accidents can be greater than computer modeling or simulations suggest. Indeed, the accident at Fukushima resulted in sustained and large releases of radiation for a period of several weeks.More than 150,000 people evacuated near Fukushima, from as far as 25 miles away--50,000 of those, according to the Associated Press (5/16/12) evacuated from outside the mandatory evacuation zones. Meanwhile, the U.S. Nuclear Regulatory Commission and U.S. State Department recommended that Americans within 50 miles of Fukushima evacuate.
Even so, as much as 80% of the airborne radiation released at Fukushima blew directly over the Pacific Ocean, rather than populated areas. The NRC cannot rely on favorable wind patterns to protect the American public.According to the National Academy of Sciences BEIR VII report, there is no safe dose of radiation, and women and children are affected more by radiation than men. Evacuation regulations must be protective of the most vulnerable in the population.
The ingestion pathway EPZ is also grossly inadequate, and should be expanded to 100 miles.Food contamination at both Fukushima and Chernobyl has been far reaching and persistent.
In Chernobyl, radionuclides tainted crops and animal products hundreds of miles away. More than 25 years after that accident, sheep in Wales--hundreds of miles away--remain interdicted.
Similarly, in Fukushima contamination of rice, milk, and other food has been exhibited 100 miles and more from the site.Current NRC regulations do not require that emergency exercises take into consideration an initiating or concurrent natural disaster that might further complicate accidents and subsequent evacuation efforts. At Fukushima, a natural disaster (coupled with faulty reactor design) initiated the disaster.
Both Fukushima and the U.S. experience with Hurricane Katrina TEMPLATE = SECY-067 DS 10 demonstrate the difficulties associated with evacuating when a natural disaster strikes that causes roadways to wash out.Weather patterns are growing more extreme and dangerous.
In 2011, hurricanes, earthquakes, and flooding caused damage to U.S. nuclear reactors.
As such, emergency preparedness drills and exercises should include regionally appropriate natural disasters such as droughts, flooding, blizzards, earthquakes, wildfires, and hurricanes.
It is for all these reasons that I request that the NRC adopt the proposed rule expanding emergency planning zones to the respective 25, 50, and 100 mile zones and add a new requirement that emergency exercises include scenarios of regionally appropriate intiating or concurrent natural disasters.
Thank you, Brooke Schoepf Woods Hole, MA 02543 US