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Category:General FR Notice Comment Letter
MONTHYEARML23312A0682023-11-0707 November 2023 Comment (7) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23283A0582023-10-0606 October 2023 Comment (6) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23272A0062023-09-28028 September 2023 Comment (5) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23271A0242023-09-15015 September 2023 Comment (4) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23271A0232023-09-14014 September 2023 Comment (3) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23271A0222023-09-13013 September 2023 Comment (2) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23271A0212023-09-12012 September 2023 Comment (1) E-mail Regarding T.P. 3&4 Suppl Draft SEIS ML23262A7632023-09-10010 September 2023 Comment (1) of Gordon Howard on Notice of Intent to Conduct Scoping Process and Prepare Environmental Impact Statement Florida Power& Light Company Turkey Point Nuclear Generating Unit Nos. 3 and 4 ML23103A0472022-11-28028 November 2022 Comment (7) E-mail Regarding T.P. 3&4 Suppl Dseis ML22312A5732022-11-0808 November 2022 Comment (2) of William Kenneth Dean on Notice of Intent to Prepare a Supplement to the Final Supplemental Environmental Impact Statement for the Subsequent License Renewal for Turkey Point Nuclear Generating Unit Nos. 3 and 4 ML22314A0952022-11-0707 November 2022 Comment (5) of Talbert Cypress on Reauthorizing the Turkey Point Nuclear Generating Station Beyond Its Intended Life Creates Immediate Harm and Manifold Risks ML23103A0352022-11-0707 November 2022 Comment (5) E-mail Regarding T.P. 3&4 Suppl Dseis ML22312A5762022-11-0707 November 2022 Comment (4) of Anonymous on Notice of Intent to Conduct Scoping Process and Prepare Environmental Impact Statement Florida Power& Light Company Turkey Point Nuclear Generating Unit Nos. 3 and 4 ML23103A0452022-11-0707 November 2022 Comment (6) E-mail Regarding T.P. 3&4 Suppl Dseis ML22312A5742022-11-0707 November 2022 Comment (3) of Caroline Reiser on Notice of Intent to Conduct Scoping Process and Prepare Environmental Impact Statement Florida Power& Light Company Turkey Point Nuclear Generating Unit Nos. 3 and 4 ML23103A0342022-10-18018 October 2022 Comment (4) E-mail Regarding T.P. 3&4 Suppl Dseis ML22294A1062022-10-17017 October 2022 Comment (1) of Gano Perez on Notice of Intent to Conduct Scoping Process and Prepare Environmental Impact Statement Florida Power & Light Company Turkey Point Nuclear Generating, Unit Nos. 3 and 4 ML23103A0322022-10-17017 October 2022 Comment (3) E-mail Regarding T.P. 3&4 Suppl Dseis ML23103A0312022-10-16016 October 2022 Comment (2) E-mail Regarding T.P. 3&4 Suppl Dseis ML23103A0482022-10-14014 October 2022 Comment (8) E-mail Regarding T.P. 3&4 Suppl Dseis ML23102A0082022-10-11011 October 2022 Comment (1) E-mail Regarding T.P. 3&4 Suppl Dseis ML19154A0412019-05-31031 May 2019 Comment (4721) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0432019-05-31031 May 2019 Comment (4723) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0442019-05-31031 May 2019 Comment (4724) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0422019-05-31031 May 2019 Comment (4722) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0452019-05-31031 May 2019 Comment (4725) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0362019-05-30030 May 2019 Comment (4716) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0402019-05-30030 May 2019 Comment (4720) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0372019-05-30030 May 2019 Comment (4717) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0392019-05-30030 May 2019 Comment (4719) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0382019-05-30030 May 2019 Comment (4718) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0342019-05-29029 May 2019 Comment (4714) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0312019-05-29029 May 2019 Comment (4711) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0352019-05-29029 May 2019 Comment (4715) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0322019-05-29029 May 2019 Comment (4712) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0302019-05-29029 May 2019 Comment (4710) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0332019-05-29029 May 2019 Comment (4713) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0212019-05-28028 May 2019 Comment (4701) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0282019-05-28028 May 2019 Comment (4708) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0262019-05-28028 May 2019 Comment (4706) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0292019-05-28028 May 2019 Comment (4709) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0272019-05-28028 May 2019 Comment (4707) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0202019-05-28028 May 2019 Comment (4700) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0252019-05-28028 May 2019 Comment (4705) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0242019-05-28028 May 2019 Comment (4704) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0232019-05-28028 May 2019 Comment (4703) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0222019-05-28028 May 2019 Comment (4702) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0082019-05-27027 May 2019 Comment (4688) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0142019-05-27027 May 2019 Comment (4694) E-mail Regarding T.P. 3&4 SLR Draft SEIS ML19154A0112019-05-27027 May 2019 Comment (4691) E-mail Regarding T.P. 3&4 SLR Draft SEIS 2023-09-28
[Table view] Category:Letter
MONTHYEARML24023A0342024-02-0505 February 2024 Exemption from Select Requirements of 10 CFR Part 73 (EPID L-2023-LLE-0038 (Security Notifications, Reports, and Recordkeeping and Suspicious Activity Reporting)) L-2024-010, Point Units 3 and 4, Seabrook, Duane Arnold, and Point Beach Units 1 and 2, Nuclear Property Insurance - 10 CFR 50.54(w)(3)2024-01-25025 January 2024 Point Units 3 and 4, Seabrook, Duane Arnold, and Point Beach Units 1 and 2, Nuclear Property Insurance - 10 CFR 50.54(w)(3) ML23341A2102024-01-22022 January 2024 LTR-23-0216-1 - Closure Letter - 2.206 Petition for License Renewal Plant Reactor Pressure Vessel Embrittlement ML23320A3062024-01-22022 January 2024 Issuance of Amendment Nos. 298 and 291 Regarding Revising the Fire Protection Program in Support of Reactor Coolant Pump Seal Replacement Project L-2024-007, Inservice Inspection Program Owner'S Activity Report (OAR-1)2024-01-18018 January 2024 Inservice Inspection Program Owner'S Activity Report (OAR-1) L-2023-173, Quality Assurance Topical Report (FPL-1) Revision 30 Update2023-12-15015 December 2023 Quality Assurance Topical Report (FPL-1) Revision 30 Update L-2023-166, Turkey Points Units 3 and 4, Correction to the 2022 Annual Radioactive Effluent Release Report2023-12-0606 December 2023 Turkey Points Units 3 and 4, Correction to the 2022 Annual Radioactive Effluent Release Report ML23340A0332023-12-0101 December 2023 FPL to Fws, Comments Submitted by Florida Power and Light on the Species Status Assessment Accompanying the September 20, 2023 Proposed Threatened Species Status with Section 4(d) Rule for the Miami Cave Crayfish L-2023-172, Supplement to Exemption Request Regarding Enhanced Weapons. Firearms Background Checks. and Security Event Notifications Final Rule2023-11-29029 November 2023 Supplement to Exemption Request Regarding Enhanced Weapons. Firearms Background Checks. and Security Event Notifications Final Rule L-2023-155, Supplement to Response to Request for Additional Information, Revised NextEra Common Emergency Plan, and Revised Site-Specific Emergency Plan Annexes Regarding License Amendment Request for Common Emergency Plan Consistent with NUREG-06542023-11-28028 November 2023 Supplement to Response to Request for Additional Information, Revised NextEra Common Emergency Plan, and Revised Site-Specific Emergency Plan Annexes Regarding License Amendment Request for Common Emergency Plan Consistent with NUREG-0654, ML23333A0152023-11-27027 November 2023 Attachment G - Arcadis Memo Re FPL Year 4 Raasr Final (June 2, 2023, Appended to Derm letter)-1 ML23333A0102023-11-27027 November 2023 Attachment B - 11/07/2022 - Waterkeeper Scoping Comments-1 L-2023-146, Part 73 Exemption Request Regarding Enhanced Weapons, Firearms Background Checks, and Security Event Notifications Final Rule2023-11-16016 November 2023 Part 73 Exemption Request Regarding Enhanced Weapons, Firearms Background Checks, and Security Event Notifications Final Rule L-2023-078, License Amendment Request 278, Incorporate Advanced Fuel Products, Extend Surveillance Intervals and 10 CFR 50.46 Exemption Request to Facilitate Transition to 24-Month Fuel Cycles2023-11-15015 November 2023 License Amendment Request 278, Incorporate Advanced Fuel Products, Extend Surveillance Intervals and 10 CFR 50.46 Exemption Request to Facilitate Transition to 24-Month Fuel Cycles IR 05000250/20230032023-11-0909 November 2023 Integrated Inspection Report 05000250/2023003 and 05000251/2023003 ML23310A1342023-11-0404 November 2023 10 CFR 2.206 Petition - LTR-23-0216-1 Petition Amendment; Turkey Point Subsequent Renewal with Petitioner 11/04/2023 ML24016A2622023-10-25025 October 2023 Subsequent License Renewal Updated List of Threatened and Endangered Species That May Occur in Your Proposed Project Location or May Be Affected Project L-2023-077, License Amendment Request 277 Updated Spent Fuel Pool Criticality Analysis2023-10-11011 October 2023 License Amendment Request 277 Updated Spent Fuel Pool Criticality Analysis ML23346A1322023-10-0606 October 2023 Communication from C-10 Research & Education Foundation Regarding NextEra Common Emergency Fleet Plan License Amendment Request and Related Documents Subsequently Published IR 05000250/20230102023-09-29029 September 2023 Biennial Problem Identification and Resolution Inspection Report 05000250/2023010 and 05000251/2023010 ML23234A1922023-09-27027 September 2023 Issuance of Amendment Nos. 297 and 290 Regarding Conversion to Improved Standard Technical Specifications ML23265A5492023-09-22022 September 2023 Transmittal of WCAP-18830-P/NP Turkey Point Fuel Storage Criticality Analysis for 24 Month Cycles to Support a License Amendment Request from FPL - License Amendment Request 277 Updated Spent Fuel Pool Criticality Analysis ML23243A9522023-09-0808 September 2023 Notice of Availability of the Draft Environmental Impact Statement for the Turkey Point Nuclear Generating Unit Numbers 3 and 4 Subsequent License Renewal Application ML23243A9542023-09-0808 September 2023 Notice of Availability of the Draft Environmental Impact Statement for the Turkey Point Nuclear Generating Unit Numbers 3 and 4 Subsequent License Renewal Application ML23243A9532023-09-0808 September 2023 Notice of Availability of the Draft Environmental Impact Statement for the Turkey Point Nuclear Generating Unit Numbers 3 and 4 Subsequent License Renewal Application ML23243A9552023-09-0808 September 2023 Notice of Availability of the Draft Environmental Impact Statement for the Turkey Point Nuclear Generating Unit Numbers 3 and 4 Subsequent License Renewal Application - Tribe- Section 106 Letters ML23199A2352023-09-0505 September 2023 Letter to EPA-Turkey Point Nuclear Generating Station, Units 3 and 4 - Notice of Availability of Draft Site-Specific Environmental Impact Statement for Subsequent License Renewal ML23199A2482023-09-0505 September 2023 Ltr to Florida Power and Light Co - Turkey Point Nuclear Generating Units 3 and 4 - Notice of Availability of Draft Site-Specific Environmental Impact Statement for Subsequent License Renewal L-2023-110, Response to Requests for Additional Information Regarding License Amendment Request No. 276, Revise Fire Protection Program in Support of Reactor Coolant Pump Seal Replacement Project2023-08-25025 August 2023 Response to Requests for Additional Information Regarding License Amendment Request No. 276, Revise Fire Protection Program in Support of Reactor Coolant Pump Seal Replacement Project IR 05000250/20230052023-08-21021 August 2023 Updated Inspection Plan for Turkey Point, Units 3 & 4 (Report 05000250/2023005 and 05000251/2023005) L-2023-115, Inservice Inspection Program Owner'S Activity Report (OAR-1)2023-08-21021 August 2023 Inservice Inspection Program Owner'S Activity Report (OAR-1) L-2023-114, Proposed Turkey Point Units 6 and 7; Seabrook Station; Point Beach Units 1 and 2 - Official Service List Update2023-08-17017 August 2023 Proposed Turkey Point Units 6 and 7; Seabrook Station; Point Beach Units 1 and 2 - Official Service List Update IR 05000250/20230022023-08-14014 August 2023 Integrated Inspection Report 05000250/2023002 and 05000251/2023002 L-2023-098, and Point Beach Units 1 and 2 - Response to Request for Additional Information Regarding License Amendment Request for Common Emergency Plan Consistent with NUREG-0654, Revision 22023-08-0707 August 2023 and Point Beach Units 1 and 2 - Response to Request for Additional Information Regarding License Amendment Request for Common Emergency Plan Consistent with NUREG-0654, Revision 2 ML23242A0922023-08-0606 August 2023 Request for Withholding Information from Public Disclosure for Turkey Point Nuclear Generating Unit Nos. 3 and 4 ML23201A0872023-08-0303 August 2023 Audit Plan in Support of Review of License Amendment ML23198A2702023-08-0303 August 2023 Issuance of the Site-Specific Environmental Impact Statement Scoping Process Summary Report Associated with the Turkey Point Nuclear Generating Unit Numbers 3 and 4, Subsequent License Renewal Application, Environmental Report Supplement 2 L-2023-094, Response to Requests for Additional Information Regarding License Amendment Request No. 276, Revise Fire Protection Program in Support of Reactor Coolant Pump Seal Replacement Project2023-07-27027 July 2023 Response to Requests for Additional Information Regarding License Amendment Request No. 276, Revise Fire Protection Program in Support of Reactor Coolant Pump Seal Replacement Project ML23178A1872023-07-25025 July 2023 Review of the Spring 2022 Steam Generator Tube Inspections During Refueling Outage No. 33 ML23188A1242023-07-20020 July 2023 Acknowledgment of Temporary Suspension Request for License Request for License Amendment Request Reactor Protection System, Engineered Safety Features System, and Nuclear Instrumentation System ML23200A0672023-07-18018 July 2023 Tp 2023 RQ Inspection Notification Letter ML23173A0812023-07-17017 July 2023 Supplement to Regulatory Audit Plan in Support of Review of License Amendment Request Supporting Digital Instrumentation & Control Modernization Project (EPID L-2022-LLA-0105) - Non-Proprietary L-2023-087, Florida Power & Light/Nextera Energy, Results of the Safety Culture Program Effectiveness Review, March 20, 2023 (ADAMS Accession No. ML22340A452)2023-06-29029 June 2023 Florida Power & Light/Nextera Energy, Results of the Safety Culture Program Effectiveness Review, March 20, 2023 (ADAMS Accession No. ML22340A452) 2024-02-05
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MIAMl-[(*llJab Carlos A. Gimenez, Mayor June 21, 2018 May Ma, Director , Program Management Announcements and Editing Branch Office of Administration Mailstop:
TWFN-7A60M U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 Department of Regulatory and Economic Resources Environmental Resources Management 701 NW 1st Court, 6th Floor Miami, Florida 33136-3912 T 305-372-6567 F 305-372-6407 miamidade.gov Via email: TurkeyPoint34SLREIS@nrc
.gov RE: Environmental Impact Statement Scoping Comments Regarding Florida Power and Light's Subsequent License Renewal Application for Turkey Point Units 3 and 4, Docket Number NRC-2018-0101 The Department of Regulatory and Economic Resources, Division of Environmental Resource Management (DERM) has reviewed the above-referenced application submitted by Florida Power and Light (FPL) to the Nuclear Regulatory Commission (NRC) to renew the operating licenses for Turkey Point Units 3 and 4 and hereby provides comments related to the site and relevant findings. Miami-Dade County understands the scoping process is, in part , intended to identify what issues should be included in the scope of the plant-specific Environmental Impact Statement (EIS) being prepared as a supplement to the Generic Environmental Impact Statement (GEIS), in respon~e to FPL's license renewal application.
The GEIS identifies issues that may be applicable or relevant to all operating nuclear power plants and is intended to improve the efficiency of the license renewal process. However, NRC's generic assessment of certain environmental impacts is based the assumptions that the license renewal will involve plants for which 1) " ... the environmental impacts of operation are well understood as a result of lessons learned and knowledge gained from operating experience and completed license renewals";
- 2) "Activities associated with license renewal are expected to be within this range of operating experience; thus , environmental impacts can be reasonably predicted"; and that 3) "Changes in the environment around nuclear power plants are gradual and predictable
." However , review of monitoring data associated with the Turk~y Point Cooling Canal System (CCS) ar:id actions undertaken by FPL to address concerns with operation of the CCS as the ultimate heat sink for Units 3 and 4, suggest that the environmental impacts of the operation of the CCS are not yet fully understood or quantified and have become more significant and widespread over time; have fallen outside the range of operating experience for the plant given the decline and continued dysfunction of the CCS and the uncertainty regarding the impact of proposed solutions; and that changes in the environment around the plant have been , in some cases , precipitous and unpredictable. SUNS! Review Complete Template=
ADM-013 E-RIDS=ADM-03 ADD= Yvonne Edmonds, Eric Oesterie, LaShawnna Lewis, Benjamin Beasley COMMENT (31) PUBLICATION DATE: 5/22/2018 CITATION# 83 FR 23726 1)t!ivcri1t5
[;aelit1lct
[very 1Jay
- Miami-Dade County believes the EIS should consider the following overarching issues associated with the operating license renewal application:
the impact of continued operation of the CCS on groundwater and surface water resources in the affected environment, the impact sea level rise will have on the physical performance of the CCS as the ultimate heat sink for the facility, and the water quality impacts that may be further exacerbated by the effects of sea level rise considering south Florida's porous limestone geology. The County believes the issues outlined herein are new and significant since the publication of the updated GEIS and may not meet all of the Category 1 criteria as required to be excluded from additional review , and should be considered Category 2 issues for the NRC's consideration and further review. Site Setting FPL's Turkey Point Power Plant immediately borders Biscayne National Park, the Florida Keys National Marine Sanctuary, and the Biscayne Bay Aquatic Preserve , respectively, to its east. Pursuant to 62-302. 700 Florida Administrative Code, these national and state designations together afford these surface waters the highest level of protection in the state, both as Outstanding National Resource Waters and Outstanding Florida Waters, with Everglades National Park boundaries existing just south of the Sanctuary's. Over 20,000 acres of publicly-owned conservation lands, portions of which are managed by Miami-Dade County's Environmental Endangered Lands program, are situated west of the plant within a wetland basin that is largely rain-driven and affected by competing freshwater needs of adjacent users, including FPL [See Exhibit A map). This unique configuration of local, state, and federally protected lands and/or surface waters warrant consideration such that mitigation of adverse impacts as a result of operating the plant in the future should sufficiently address protection of these regional and national resources.
Operation of the CCS Although the CCS is identified as a "closed loop system" , it is important to note that due to south Florida's local geology, surface water from the CCS and underlying groundwater moves freely through the porous bedrock and beyond the boundaries of the facility. This is evident through evaluation of the monitoring data documenting the presence of Tritium above background levels in groundwater and surface water beyond the boundaries of the facility. Monitoring data indicate that operation of the Cooling Canal System (CCS) has resulted in exceedances of Miami-Dade County's groundwater and surface water standards, in violation of Chapter 24 of the Code of Miami-Dade County. The County entered into a Consent Agreement with FPL on October 7, 2015 as a result of documented chloride contamination in groundwater outside FPL's property boundaries. FPL is also under a Consent Order by the Florida Department of Environmental Protection (FDEP) to address water quality impacts associated with the CCS. Additionally, exceedances of ammonia in groundwater and surface water have also been documented and have resulted in FPL being required to submit a site assessment report (SAR) to the County to investigate the source and fate of nitrogen leaving the FPL property.
An evaluation of the total ammonia (ammonia) groundwater data including historical data (since 2010) from groundwater monitoring wells within (TP-GW13 series) and immediately adjacent to the CCS (TP-GW2 and TP-GW1 series) indicate a statistically significant increasing trend (Mann Kendall Trend Analysis; 0.05 significance level, 0.95 confidence level) and a concentration gradient emanating from the CCS at the deep and intermediate intervals.
Miami-Dade County continues to coordinate with FPL on implementation of remedial actions required pursuant to the Consent Agreement, including the installation and operation of a recovery well system to capture, contain and retract the hypersaline plume. However , the County does not agree with FPL's assertions as provided in the Environmental Report that the CCS is not the source of ammonia exceedances documented in adjacent surface water bodies. Therefore , the EIS should consider all monitoring data collected as part of the FPL Units 3 and 4 Uprate project as well as data collected under the Consent Agreement , including the SAR to evaluate the potential impact of the CCS operations on water resources in the area. The main function of the CCS is to provide water to cool the two nuclear reactors , Units 3 and 4 , and serve as the Turkey Point Plant's industrial wastewater treatment facility. The system commenced operations in the early 1970s and until very recently (beginning in late February to early March of 2012) it operated as a clear water , seagrass-based biological system. Salinity data from historical NPDES required monitoring and more recently (June 2010 to present) from monitoring required by the State of Florida and Miami-Dade County as part of the State certification for the Units 3 & 4 Uprate project indicate that the salinity in the CCS experienced an increasing trend which culminated with daily average salinity levels in the low 90s PSU in 2014 and the mid-90s PSU in June 2015. Water quality data from the Uprate monitoring project indicate that the system experienced a dramatic increase in the organic nitrogen levels in surface waters that first became evident in March of 2012. The levels of organic nitrogen in the CCS surface water appear to have fueled a cyanobacteria algal bloom that marked the beginning of the biological collapse of the system which has continued to experience recurring algal blooms , ultimately resulting in the die-off of the seagrass beds , which performed a key role in allowing the system to perform its main functions as the ultimate heat sink. Among other things , the seagrass beds helped remove nutrients from the water column and maintained water clarity. The collapse of the seagrass has resulted in recurring cyanobacteria algal blooms that serve to maintain high nitrogen levels and poor water clarity , which have impacted the system's ability to perform its primary function without the use of external water sources as it did previously. Miami-Dade County has concerns regarding the long-term viability of the CCS to meet its intended purpose as the ultimate heat sink without the need for external sources* of fresh or low salinity water sources in a basin already facing water shortages , saltwater intrusion and sea level rise. The EIS should consider and analyze all available data including the most recent post Uprate data , to fully evaluate the function of the CCS over the next 34 to 35 years , including plans for the addition of external sources of fresh or low saline water, and its impact on water resources in the area. Physical Characteristics of the CCS and Vulnerability to Sea Level Rise Changing conditions associated with sea level rise will contribute to higher stages in the CCS as a result of the groundwater table rising as sea* levels rise and as king tide events impact the coastline. Higher stages in the CCS may alter the gravity-driven system in the CCS such that the ability for the CCS to move water through the cooling canals may be negatively affected, leading to the inability of the cooling canals to dissipate water temperatures at the point of uptake. Additionally , sea level rise may contribute to the surface water to surface water communication between the water in the CCS and waters of the national park , national marine sanctuary , and/or state aquatic preserve. Given the predictions with respect to sea-level rise , as reported in the Unified Sea level Rise Projection for Southeast Florida prepared by the Southeast Florida Regional Climate Change Compact (October 2015), and based on the location and surface elevation of the FPL power plant , the EIS should evaluate the potential impacts of sea level rise on the operation and safety of the facility and its associated cooling canal system.
Special Status Species and Habitats Annual reports required for permits with U.S. Fish and Wildlife Service , Florida Fish and Wildlife Conservation Commission , and the Florida Department of Environmental Protect i on indicate considerable changes in the population of the American crocodile
- at Turkey Point over the last decade. Between 2005 and 2016 there was a notable decrease in the number of individuals sighted per survey, number of tagged hatchlings and number of successful nests. The number of dead hatchlings and infertile eggs in successful nests has increased and physical deformities of hatchlings were reported between 2009 and 2014. Studies conducted on the crocodile population at Turkey Point since the reported collapse of the CCS in 2012 documented poor body condition of animals and impaired osmoregulation abilities. The EIS should include a review of data on long term population trends and monitoring of the American crocodile as well as other listed species that may utilize the facility. DERM has been i nvolved in review and evaluation of various aspects of the Turkey Point facility , the CCS and associated monitoring data over the past several years. DERM is committed to providing assistance to the NRC in your review of this application. For a link to information related to DERM's comments , please see instructions provided in attachment
- 8. If you have any questions or need additional information , please contact Lisa Spadafina , Chief of DERM's Natural Resources Divis i on at 305-372-6567 , or via email at Lisa.Spadafina@miamidade
.gov. Sincerely , k-1~ Director Division of Environmental Resources Management Enclosures
- Attachment A: South Dade Wetlands Map Attachment B: Electronic Content Management Instructions Attachment B DERM electronic records management system link: http://ecmrer.miamidade.gov: 8080/hpi/searc h Search for the following fplders under "Case Number: HWR-00851 CLl-2014-0312 Model Lands Portion ofthe South Dade Wetlands