ML15259A417

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the U.S. Nuclear Regulatory Commission Staff Evaluation of the Final Rule for Continued Storage of Spent Nuclear Fuel for the Operating License Environmental Review for Watts Bar Nuclear Plant, Unit 2
ML15259A417
Person / Time
Site: Watts Bar Tennessee Valley Authority icon.png
Issue date: 10/21/2015
From: David Wrona
Watts Bar Special Projects Branch
To:
Watts Bar Special Projects Branch
Kuntz R, NRR/DORL/LPLWB, 415-3733
References
DLR-15-0433
Download: ML15259A417 (11)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 October 21, 2015 MEMORANDUM TO: File FROM: David J. Wrona, Chief Environmental Review

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and Guidance Update Branch Division of License Renewal Office of Nuclear Reactor Regulation

SUBJECT:

THE U.S. NUCLEAR REGULATORY COMMISSION STAFF EVALUATION OF THE FINAL RULE FOR CONTINUED STORAGE OF SPENT NUCLEAR FUEL FOR THE OPERATING LICENSE ENVIRONMENTAL REVIEW FOR WATTS BAR NUCLEAR PLANT, UNIT2 This memorandum provides the U.S. Nuclear Regulatory Commission (NRG) staff's evaluation of the revised Title 10 of the Code of Federal Regulations ( 10 CFR) 51.23 and supporting generic environmental impact statement, NUREG-2157, "Generic Environmental Impact Statement for Continued Storage of Spent Nuclear Fuel: Final Report," as it relates to the issuance of an initial operating license for the Watts Bar Nuclear Plant (WBN) Unit 2. The enclosure to this memorandum gives a brief overview of the NRC's environmental protection regulations, the remand of 10 CFR 51.23, the assumptions in the Final Environmental Statement (FES) for the WBN Unit 2 operating license, and the substance and effect of the revised 10 CFR 51.23 and NUREG-2157. The enclosure then analyzes whether the revised rule and NUREG-2157 constitute new and significant information. Finally, the enclosure concludes that the revised rule and NUREG-2157 do not present a "seriously different picture" of the environmental impacts of the proposed action (i.e., issuance of an operating license) as compared to the discussion presented in the May 2013 supplement to the WBN Unit 2 FES.

Docket No. 50-391

Enclosure:

NRG Staff Evaluation cc: Listserv

The U.S. Nuclear Regulatory Commission Staff Evaluation of the Final Rule for Continued Storage of Spent Nuclear Fuel 1 for the Operating License Environmental Review for Watts Bar Nuclear Plant Unit 2 Introduction and Summary The purpose of this evaluation is to document the U.S. Nuclear Regulatory Commission (NRC) staff's evaluation of the revised Title 10 of the Code of Federal Regulations ( 10 CFR) Part 51 Section 23 Continued Storage Rule and supporting generic environmental impact statement (GEIS) (i.e., NUREG-2157) as it relates to the discussion of spent fuel in Chapter 4 of Supplement 2 to the Final Environmental Statement2 (FES-S2) 3 for the Tennessee Valley Authority's (TVA) Watts Bar Nuclear Plant (WBN) Unit 2 operating license. This evaluation gives a brief overview of the NRC's environmental protection regulations, the vacatur and remand of 10 CFR 51.23, the assumptions in the WBN Unit 2 FES-S2 for an initial operating license, and the substance and effect of the revised 10 CFR 51.23 and NUREG-2157. The evaluation then considers whether the revised 10 CFR 51.23 rule and NUREG-2157 constitute new and significant information that would require a supplement to the WBN Unit 2 FES-2. The evaluation concludes that the revised 10 CFR 51.23 rule and NUREG-2157 do not present a "seriously different picture" of the environmental impacts of the proposed action (i.e., issuance of an operating license) as compared to the impacts analysis presented in the WBN Unit 2 FES-S2. Therefore, a supplement to the WBN Unit 2 FES-S2 is not required.

NRC's Environmental Rules for Nuclear Power Plant Operating License Section 102 of the National Environmental Policy Act of 1969, as amended (NEPA)

(42 U.S.C. 4321), directs that an environmental impact statement (EIS) be prepared for major Federal actions that significantly affect the quality of the human environment. The NRC's approach for implementing NEPA and associated environmental review process is included in 10 CFR Part 51, "Environmental Protection Regulations for Domestic Licensing and Related Regulatory Functions."

With the incorporation of the environmental impacts determined in NUREG-2157 into the WBN Unit 2 FES-S2, the NRC staff performed an evaluation in accordance with 10 CFR 51.92, "Supplement to the Final Environmental Impact Statement," to determine whether a supplement is required.

The Watts Bar Nuclear Power Plant. Unit 2 FES-82 As discussed in Chapter 4 of the May 2013 WBN Unit 2 FES-S2, in New York v. NRG, 681 F.3d 471 (D.C. Cir. 2012), the court vacated the Commission's Waste Confidence Decision 1 "Continued Storage of Spent Nuclear Fuel," 79 FR 56238-56262 (Sep. 19, 2014).

2 The NRC considers an FES to be equivalent to an EIS to demonstrate compliance with NEPA.

3 NUREG-0498, Supplement 2, Final Environmental Statement Related to the Operation of Watts Bar Nuclear Plant, Unit 2, Supplement 2, Final Report, May 2013 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML13144A202).

Enclosure

and Rule (i.e., 10 CFR 51.23). Because the WBN Unit 2 FES-S2 was in preparation at the time the court vacated the Commission's Waste Confidence Decision and Rule, the NRC staff was not able to evaluate the environmental impacts associated with the uranium fuel cycle for spent nuclear fuel beyond the licensed life for reactor operations. Further, the Continued Storage Rule and accompanying technical analyses were not finalized before the WBN Unit 2 FES-S2 was published. Thus, the analysis of the environmental impacts for two issues associated with the uranium fuel cycle, onsite storage of spent nuclear fuel and the offsite radiological impacts resulting from spent nuclear fuel and high-level waste disposal, was not completed prior to the May 2013 publication of the WBN Unit 2 FES-S2. As further discussed in Chapter 4 of the WBN Unit 2 FES-S2, these two issues relied on the Commission's previous Waste Confidence Decision and Rule (10 CFR 51.23), which were vacated in New York v. NRG, 681F.3d471 (D.C. Cir. 2012). Therefore, the WBN Unit 2 FES-S2 did not have an analysis of, or make an impact determination on, the environmental impacts associated with the onsite storage of spent nuclear fuel for the period beyond the licensed life for operation of a reactor and the offsite radiological impacts resulting from spent nuclear fuel and high-level waste disposal, including possible disposal in a deep geologic repository. Instead, the WBN Unit 2 FES-S2 indicated that it would rely on the revised 10 CFR 51.23 and its supporting GEIS to provide the necessary NEPA analyses of waste confidence-related human health and environmental issues. The WBN Unit 2 FES-S2 indicated that if the results of the revised 10 CFR 51.23 identify information that requires a supplement to the WBN Unit 2 FES-S2, the NRC staff would perform any appropriate additional NEPA review for those issues before the NRC makes a final licensing decision.

In response to the court's vacatur, the Commission developed a revised rule and associated "Generic Environmental Impact Statement for Continued Storage of Spent Nuclear Fuel" (NUREG-2157, ADAMS Accession Nos. ML14196A105 and ML14196A107). The revised rule adopts the generic impact determinations made in NUREG-2157 and codifies the NRC's generic determinations regarding the environmental impacts of continued storage of spent nuclear fuel beyond a reactor's operating license (i.e., those impacts that could occur as a result of the storage of spent nuclear fuel at at-reactor or away-from-reactor sites after a reactor's licensed life for operation and until a permanent repository becomes available). As directed by 10 CFR 51.23(b), the impacts assessed in NUREG-2157 regarding continued storage shall be deemed incorporated by rule into the WBN Unit 2 FES-S2.

Although the status of a repository, including a repository at Yucca Mountain, is uncertain and outside the scope of the generic environmental impact analysis conducted to support the revised 10 CFR 51.23, NUREG-2157 (the technical basis for revised 10 CFR 51.23) concludes that deep geologic disposal remains technically feasible. Further, the NRC believes that the current radiation standards promulgated for Yucca Mountain (40 CFR Part 197) are protective of public health and safety and the environment. Although NUREG-2157 does not include high-level waste disposal in the analysis of impacts, as previously stated, it does address the technical feasibility of a repository in Appendix B of NUREG-2157 and concludes that a geologic repository for spent nuclear fuel is technically feasible and the same analysis applies to the feasibility of geologic disposal for high-level waste.

CLl-14-08: Holding that Revised 10 CFR 51.23 and NUREG-2157 Satisfy NRC's NEPA Obligations for Continued Storage and Directing Staff to Account for Environmental Impacts in NUREG-2157 In CLl-14-08 (ADAMS Accession No. ML14238A242), the Commission held that the revised 10 CFR 51.23 and associated NUREG-2157 cure the deficiencies identified by the court in New York and stated that the rule satisfies the NRC's NEPA obligations with respect to continued storage for initial, renewed, and amended licenses for reactors.

Therefore, the WBN Unit 2 FES-S2, which by rule incorporated the impact determinations in NUREG-2157 regarding continued storage, contains an analysis for the issues of onsite storage of spent nuclear fuel and the offsite radiological impacts of spent nuclear fuel and high-level waste disposal that satisfies NEPA. As the Commission noted in CLl-14-08, the NRC staff must account for these environmental impacts before finalizing its licensing decision in this proceeding. To account for these impact determinations, the NRC staff analyzed whether the revised rule at 10 CFR 51.23 and the associated NUREG-2157 present new and significant information such that a supplement to the WBN Unit 2 FES-S2 is required.

Requirements for Supplementing an EIS As required by 10 CFR 51.92(a), the NRC staff will prepare a supplement to the WBN Unit 2 FES-S2 if the proposed action (i.e., issuance of an operating license) has not been taken and:

(1) there are substantial changes in the proposed action that are relevant to environmental concerns; or (2) there are new and significant circumstances or information relevant to environmental concerns and bearing on the proposed action or its impacts.

The applicant for the WBN Unit 2 operating license has not proposed any changes to the proposed action in this case. Therefore, a supplement is not required under 10 CFR 51.92(a)(1).

Because the Commission issued a revised 10 CFR 51.23 and associated NUREG-2157, and the impact determinations in NUREG-2157 regarding continued storage shall be deemed incorporated into an EIS or FES for an operating license, the NRC staff analyzed whether the revised 10 CFR 51.23 and NUREG-2157 present new and significant information such that a supplement to the WBN Unit 2 FES-S2 is required under 10 CFR 51.92(a)(2). To merit a supplement, information must be both new and significant and it must bear on the proposed action or its impacts. The Commission has stated that new information would be considered significant if it presents "a seriously different picture of the environmental impact of the proposed project from what was previously envisioned." Union Electric Co. (Callaway Plant, Unit 2),

CLl-11-5, 74NRC141, 167-68 (2011); Hydro Resources, Inc. (2929 Coors Road, Suite 101, Albuquerque, NM 87120), CLl-99-22, 50 NRC 3, 14 (1999) (citing Marsh v. Oregon Natural Resources Council, 490 U.S. 360, 373 (1989); Sierra Club v. Froehlke, 816 F.2d 205, 210 (5 1hCir.1987)).

In determining whether new information meets this "seriously different picture" standard, the NRC staff looks to, among other things: previous Commission decisions on claimed new and significant information, previous environmental analyses done for the proposed action at issue, and Marsh, which provides that agency decisions regarding the need to supplement an EIS based on new and significant information are subject to the "rule of reason."

In other proceedings, the Commission explained that if it found any new information that presents a significant new environmental impact that should be addressed in site-specific environmental analyses, the Commission would supplement or otherwise incorporate the information into the environmental analyses as warranted. See CLl-12-15 (ADAMS Accession Number ML12159A152). In doing so, the Commission will have provided access to the relevant information and the agency decision-makers will have considered that information before a final decision on the matter is reached. Hydro Resources, Inc. (2929 Coors Road, Suite 101, Albuquerque, NM 87120), CLl-99-22, 50 NRC 3, 14 (1999).

Analysis of Whether Revised 10 CFR 51.23 and NUREG-2157 Are New and Significant Information The analysis below examines whether NUREG-2157 and the revised 10 CFR 51.23 constitute new and significant information such that a supplement to the WBN Unit 2 FES-S2 is required.

The NRC staff concludes that the revised rule and NUREG-2157 do not present a "seriously different picture" of the environmental impacts of the proposed action (i.e., issuance of an operating license) as compared to the impacts analysis presented in the WBN FES-S2; therefore, no supplement to the WBN Unit 2 FES-S2 is required.

By virtue of revised 10 CFR 51.23, the WBN Unit 2 FES-S2 incorporated the impact determinations in NUREG-2157 regarding continued storage such that there is a complete analysis of the environmental impacts associated with spent fuel storage beyond the licensed life for reactor operations. However, as discussed above, the Continued Storage Rule and accompanying technical analyses were not included in the WBN Unit 2 FES-S2. Therefore, the WBN Unit 2 FES-S2 indicated that the updated rule (i.e., 10 CFR 51.23) and supporting EIS will provide the necessary NEPA analysis of waste confidence-related human health and environmental issues. However, if the NRC staff identified information that requires a supplement to the WBN Unit 2 FES-S2, the NRC staff would perform any appropriate additional NEPA review for those issues before the NRC makes a final licensing decision. Based on its analysis, the NRC staff has determined that the findings in NUREG-2157 do not paint a seriously different picture from what was previously presented and analyzed in the WBN Unit 2 FES-S2. As discussed above, the public extensively participated in the 10 CFR 51.23 rulemaking process following the court's remand in New York.

The NRC staff also considered whether the revised rule and NUREG-2157 altered the NRC staff's recommendation in the WBN Unit 2 FES-S2 that the environmental impacts of the proposed action are not great enough to deny the option of issuing the operating license for WBN Unit 2. After analyzing the impact determinations in NUREG-2157, discussed below, the NRC staff concluded that they did not alter the NRC staff's recommendation.

At-Reactor Storage The analysis in NUREG-2157 concludes that the potential impacts of at-reactor storage during the short-term timeframe (i.e., the first 60 years after the end of licensed life for operations of the reactor) would be SMALL (see Section 4.20 of NUREG-2157). Further, the analysis in NUREG-2157 states that disposal of the spent fuel by the end of the short-term timeframe is the most likely outcome (see Section 1.2 of NUREG-2157). Thus, the potential impacts of at-reactor continued storage during the short-term timeframe are consistent with the evaluation in the WBN Unit 2 FES-S2 regarding the impacts of onsite storage of spent fuel during the initial operating license term.

However, the analysis in NUREG-2157 also evaluated the potential impacts of continued storage if the fuel is not disposed of by the end of the short-term timeframe. The analysis in NUREG-2157 determined that the impacts to historic and cultural resources from at-reactor storage during the long-term timeframe (i.e., the 100-year period afterthe short-term timeframe) and the indefinite timeframe (i.e., the period after the long-term timeframe) are dependent on factors that are unpredictable this far in advance and therefore concluded those impacts would be SMALL to LARGE (see Section 4.12 of NUREG-2157). Among other things, as discussed in NUREG-2157, the NRC cannot accurately determine at this time what resources may be present or discovered at a continued storage site a century or more in the future and whether those resources will be historically or culturally significant to future generations. Additionally, impacts greater than SMALL could occur if the activities to replace an independent spent fuel storage installation (ISFSI) and the dry transfer system (DTS) adversely affect cultural or historic resources and the effects cannot be mitigated. As discussed in NUREG-2157, given the minimal size of an ISFSI and DTS, and the large land areas at nuclear power plant sites, licensees should be able to locate these facilities away from historic and cultural resources.

Potential adverse effects on historic properties or impacts on historic and cultural resources could also be minimized through development of agreements, license conditions, and implementation of the licensee's historic and cultural resource management plans and procedures to protect known historic and cultural resources and address inadvertent discoveries during construction and replacement of these facilities. However, it may not be possible to avoid adverse effects on historic properties under the National Historic Preservation Act of 1966 (NHPA), as amended or impacts on historic and cultural resources under NEPA and, therefore, the analysis in NUREG-2157 concluded that impacts would be SMALL to LARGE (see Section 4.12.2 of NUREG-2157).

The analysis in NUREG-2157 also concludes that the impacts of nonradioactive waste in the indefinite timeframe would be SMALL to MODERATE, with the higher impacts potentially occurring if the waste from repeated replacement of the ISFSI and DTS exceeds local landfill capacity (see Section 4.15 of NUREG-2157). Although the NRC concluded that nonradioactive waste disposal would not be destabilizing (or LARGE), the range reflects uncertainty regarding whether the volume of nonradioactive waste from continued storage would contribute to noticeable waste management impacts over the indefinite timeframe when considered in the context of the overall local volume of nonradioactive waste.

As previously discussed, the NRC found in NUREG-2157 that disposal of the spent fuel is most likely to occur by the end of the short-term timeframe. Therefore, disposal during the long-term timeframe is less likely, and the scenario depicted in the indefinite timeframe-continuing to

store spent nuclear fuel indefinitely-is unlikely. As a result, the most likely impacts of the continued storage of spent fuel are those considered in the short-term timeframe. In the unlikely event that fuel remains on site into the long-term and indefinite timeframes, the associated impact ranges in NUREG-2157 reflect the accordingly greater uncertainties regarding the potential impacts over these very long periods of time. Taking into account the impacts that the NRC considers most likely, which are SMALL; the greater uncertainty reflected in the ranges in the long-term and indefinite timeframes compared to the greater certainty in the SMALL findings; and the relative likelihood of the timeframes, the staff finds that the impact determinations for at-reactor storage presented in NUREG-2157 do not present a seriously different picture of the environmental impacts compared to the staff's analysis in Chapter 4 of the WBN Unit 2 FES-S2 for the impacts from spent fuel storage during the initial operating license term.

Away-From-Reactor Storage In NUREG-2157, the NRC concluded that a range of potential impacts could occur for some resource areas if the spent fuel from multiple reactors is shipped to a large (roughly 40,000 Metric Tons Uranium) away-from-reactor ISFSI (see Section 5.20 of NUREG-2157). The ranges for some resources are driven by the uncertainty regarding the location of such a facility and the local resources that would be affected.

For away-from-reactor storage, the unavoidable adverse environmental impacts for most resource areas is SMALL across all timeframes, except for air quality, terrestrial resources, aesthetics, waste management, and transportation where the impacts are SMALL to MODERATE. Socioeconomic impacts range from SMALL (adverse) to LARGE (beneficial) and historic and cultural resource impacts could be SMALL to LARGE across all timeframes. The potential MODERATE impacts on air quality, terrestrial wildlife, and transportation are based on potential construction-related fugitive dust emissions, terrestrial wildlife direct and indirect mortalities, terrestrial habitat loss, and temporary construction traffic impacts. The potential MODERATE impacts on aesthetics and waste management are based on noticeable changes to the viewshed from constructing a new away-from-reactor ISFSI, and the volume of nonhazardous solid waste generated by assumed facility ISFSI and DTS replacement activities for the indefinite timeframe, respectively. The potential LARGE beneficial impacts on socioeconomics are due to local economic tax revenue increases from an away-from-reactor ISFSI.

The potential impacts to historic and cultural resources during the short-term storage timeframe would range from SMALL to LARGE. The magnitude of adverse effects on historic properties and impacts on historic and cultural resources largely depends on where facilities are sited, what resources are present, the extent of proposed land disturbance, whether the area has been previously surveyed to identify historic and cultural resources, and if the licensee has management plans and procedures that are protective of historic and cultural resources. Even a small amount of ground disturbance (e.g., clearing and grading) could affect a small but significant resource. In most instances, placement of storage facilities on the site can be adjusted to minimize or avoid impacts on any historic and cultural resources in the area.

However, the NRC recognizes that this may not always be possible. The NRC's site-specific environmental review and compliance with the NHPA process could identify historic properties, identify adverse effects, and potentially resolve adverse effects on historic properties and

impacts on other historic and cultural resources. Under the NHPA, mitigation does not eliminate a finding of adverse effect on historic properties. The potential impacts to historic and cultural resources during the long-term and indefinite storage timeframes would also range from SMALL to LARGE. This range takes into consideration routine maintenance and monitoring (i.e., no ground-disturbing activities), the absence or avoidance of historic and cultural resources, and potential ground-disturbing activities that could affect historic and cultural resources. The analysis also considers uncertainties inherent in analyzing this resource area over long timeframes. These uncertainties include any future discovery of previously unknown historic and cultural resources; resources that gain significance within the vicinity and the viewshed (e.g., nomination of a historic district) due to improvements in knowledge, technology, and excavation techniques and changes associated with predicting resources that future generations will consider significant. If construction of a DTS and replacement of the ISFSI and DTS occurs in an area with no historic or cultural resources present or construction occurs in a previously disturbed area that allows avoidance of historic and cultural resources then impacts would be SMALL. By contrast, a MODERATE or LARGE impact could result if historic and cultural resources are present at a site and, because they cannot be avoided, are impacted by ground-disturbing activities during the long-term and indefinite timeframes.

Impacts on Federally listed species, designated critical habitat, and essential fish habitat would be based on site-specific conditions and determined as part of consultations required by the Endangered Species Act and the Magnuson-Stevens Fishery Conservation and Management Act.

Continued storage of spent nuclear fuel at an away-from-reactor ISFSI is not expected to cause disproportionately high and adverse human health and environmental effects on minority and low-income populations. As indicated in the Commission's policy statement on environmental justice, should the NRC receive an application for a proposed away-from-reactor ISFSI, a site-specific NEPA analysis would be conducted, and this analysis would include consideration of environmental justice impacts. Thus, the NRC staff finds that the impact determinations for away-from-reactor storage presented in NUREG-2157 do not present a seriously different picture of the environmental impacts compared to the NRC staff's analysis in Chapter 4 of the WBN Unit 2 FES-S2 for the impacts from spent fuel storage during the initial operating license term.

Cumulative Impacts NUREG-2157 examines the incremental impact of continued storage on each resource area analyzed in NUREG-2157 in combination with other past, present, and reasonably foreseeable future actions. NUREG-2157 indicates ranges of potential cumulative impacts for multiple resource areas (see Section 6.5 of NUREG-2157). However, these ranges are primarily driven by impacts from activities other than the continued storage of spent fuel at the reactor site; the impacts from these other activities would occur regardless of whether spent nuclear fuel is stored during the continued storage period. In the short-term timeframe, which is the most likely timeframe for the disposal of the fuel, the potential impacts of continued storage for at-reactor storage are SMALL and would, therefore, not be a significant contributor to the cumulative impacts. In the longer timeframes for at-reactor storage, or in the less likely case of away-from-reactor storage, some of the impacts from the storage of spent nuclear fuel could be greater than SMALL. As noted in NUREG-2157, other Federal and non-Federal activities occurring

during the longer timeframes include uncertainties as well. It is primarily these uncertainties (i.e., those associated with activities other than continued storage) that contribute to the ranges of potential cumulative impacts discussed throughout Chapter 6 of NUREG-2157 and summarized in Table 6-4 of NUREG-2157. Because, as stated above, the impacts from these other activities would occur regardless of whether continued storage occurs, the overall cumulative impact conclusions in NUREG-2157 would still be the stated ranges regardless of whether there are impacts of continued storage from any individual licensing action.

Taking into account the impacts that the NRC considers most likely, which are SMALL; the uncertainty reflected by the ranges in some impacts; and the relative likelihood of the timeframes, the NRC staff finds that NUREG-2157 does not present a seriously different picture of the environmental impacts compared to the NRC staff's analysis in Chapter 4 of the WBN Unit 2 FES-S2 for cumulative radiological impacts during the initial operating license term.

Overall Conclusion To determine whether the revised 10 CFR 51.23 and incorporating the impact determinations in NUREG-2157 regarding continued storage require a supplement to the May 2013 WBN Unit 2 FES-S2, the NRC staff analyzed the conclusions in NUREG-2157 to determine whether they present a seriously different picture of the environmental impacts that were discussed in the WBN Unit 2 FES-S2.

The Commission conducted a rulemaking, which involved extensive public participation, and has now adopted a revised rule and made generic determinations with respect to those issues, which are discussed in NUREG-2157 and incorporated into the WBN Unit 2 FES-S2. As previously stated, the Commission held in CLl-14-08 that the revised 10 CFR 51.23 and associated NUREG-2157 satisfy the NRC's NEPA obligations with respect to continued storage as it pertains to the issues, onsite storage of spent nuclear fuel and offsite radiological impacts of spent nuclear fuel and high level waste disposal for an initial operating license for WBN Unit 2. Therefore, the WBN Unit 2 FES-S2 incorporates the generic impact determinations codified in the revised rule and supporting NUREG-2157 and does not need to be supplemented.

The analysis in NUREG-2157 supports the conclusion that the most likely impacts of continued storage are those discussed for at-reactor storage. For continued at-reactor storage, impacts in the short-term timeframe would be SMALL. Over the longer timeframes, impacts to certain resource areas would be a range (i.e., for historic and cultural resources during both the long-term and indefinite timeframes the range is SMALL to LARGE and for nonradioactive waste during the indefinite timeframe the range is SMALL to MODERATE). In NUREG-2157, the NRC stated that disposal of the spent fuel before the end of the short-term timeframe is most likely. There are inherent uncertainties in determining impacts for the long-term and indefinite timeframes, and, with respect to some resource areas, those uncertainties could result in impacts that, although less likely, could be larger than those that are to be expected at most sites and have therefore been presented as ranges rather than as a single impact level. Those uncertainties exist, however, regardless of whether the impacts are analyzed generically or site-specifically. As a result, these impact ranges provide correspondingly more limited insights to the decision-maker in the overall picture of the environmental impacts from the proposed action (i.e., issuance of an operating license).

The NRC staff concludes that when weighed against the array of other uranium fuel cycle and waste management impacts presented in the WNB2 FES-82, and the more-likely impacts of continued storage during the short-term timeframe in NUREG-2157, which are SMALL, the uncertainties associated with the impact ranges for the long-term and indefinite timeframes do not present a seriously different picture of the direct, indirect, and cumulative environmental impacts compared to the NRC staff's analysis of the impacts from issuance of an operating license for WBN Unit 2 attributable to the uranium fuel cycle and waste management (which includes the impacts associated with spent fuel storage). Additionally, for the reasons discussed above, continued at-reactor storage is not expected to contribute noticeably to cumulative impacts. The revised rule and the impact determinations contained in NUREG-2157 also do not alter the NRC staff's recommendation in the WBN Unit 2 FES-82 that the environmental impacts of the proposed action are not great enough to deny the option of issuing the operating license for WBN Unit 2.

ML15259A417 *via e-mail OFFICE DLR/RE RB DORL/LPWB/LA DORL/LPWB/BC OGC- NLO DLR/RERB/BC NAME KFolk BClayton JQuichocho CKantatas DWrona DATE 9/18/2015 9/18/2015 10/21/2015 10/07/2015 10/21/2015