ML13253A229

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Potential Rais: Meteorology and Air Compliance
ML13253A229
Person / Time
Site: Columbia Energy Northwest icon.png
Issue date: 08/15/2013
From:
Office of Information Services
To:
References
FOIA/PA-2013-0265
Download: ML13253A229 (2)


Text

t Potential RAIs:

Meteorology and Air Compliance (NRC request 3054) Have there been any updates to CGS's operating air permit with the State of Washington? The ER references Regulatory Order 672 Limiting WNP-2 Air Emissions (EFSEC 1996), which is a 1996 document that discusses operating emission limits. What would be the process for updating/changing the site's operating air quality permit to include/remove new sources of emissions?

(NRC request 3055) Provide a list of permitted air emission sources and associated emission quantities.

It was unclear to me if the other three open items as of COB Wednesday (NRC requests 3050, 3052, and 3053) were resolved or not or if the responses need to be submitted on the docket. I included them on the list of requested references just to be sure.

Terrestrial Ecology Reviewers need to review the DOE land-use plan to see if there are additional requirements on EN. There may be RAIs as a result of this review. This document is publicly and is not being requested from EN.

Aquatic Ecology Response to NRC request 3042 (re: 2006 NMFS determination about adverse impact from intake) may need to be either docketed or handled as an RAI.

NRC request 3025. Additional information regarding the CGS river intake screens: 1) drawings of the intake river screens, and (2) a copy of the 1985 entrainment study (included in an annual report). This information was requested by the NMFS representative as part of the consultation so NRC is therefore asking for this as part of its review.

Hydrology None Nonradiological Waste None Environmental Justice None e-*

Socioeconomics None Land Use None Archaeological and Cultural Resources None Alternatives None Cumulative Impacts None Human Health Please provide a list of all known uranium fuel cycle facilities within a 50-mile radius of the CGS site. This information is requested to assist the staff in its preparation of section 4.11 on cumulative impacts.