ML18211A315

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Comment (1960) E-mail Regarding Holtec-CISF EIS Scoping
ML18211A315
Person / Time
Site: HI-STORE
Issue date: 07/26/2018
From: Public Commenter
Public Commenter
To:
Division of Fuel Cycle Safety, Safeguards, and Environmental Review
NRC/NMSS/DFCSE
References
83FR13802
Download: ML18211A315 (3)


Text

1 Holtec-CISFEISCEm Resource From:

Jean Farris <jcfarris27@gmail.com>

Sent:

Thursday, July 26, 2018 10:42 AM To:

Holtec-CISFEIS Resource

Subject:

[External_Sender] COMMENT TO the NRC on Docket ID NRC-2018-0052: Holtec Internationals HI-STORE Consolidated Interim Storage Facility Project

Dear Nuclear Regulatory Commission Staff:

Reject Holtec Internationals application for a potentially disasterous Consolidated Interim Storage Facility (CISF) for high level nuclear waste first because centralized or consolidated interim storage sites are NOT, in any way, allowed under US federal laws to the extent the Department of Energy and US taxpayers are unfairly expected to own and transport the deadly waste. It is an totally ILLEGAL DUMP.

Reject and do not rely on the shoddy Environmental Report done by Tetra Tech for Holtec. A proven to be FRAUDULENT, CROOKED CONTRACTOR should not ever be doing the environmental analysis. For 20 years Tetra Tech has been murderously and mercenarily falsifying radiation monitoring data, deliberately spreading poisonous, life-destroying radioactive soil and waste to previously clean places on and offsite, using unqualified workers to supervise radioactive scanning and cleanup efforts and suppressing and firing whistleblowers at the Navys huge Hunters Point nuclear site in San Francisco, which is being converted to high-end housing. This is according to the US Navy, EPA and California Health Department. Based on this evil track record, Tetra Tech cannot, in any way, ever be trusted to assess environmental impacts of the proposed Holtec dump.

The Holtec site legally and morally VIOLATES ENVIROMENTAL and ECONOMIC JUSTICE. The proposed area has extremely valuable industries including pecan, cattle ranches, dairy, and other vital local farming interests that would be disasterously threatened by the site. Even some of the hazardous and extractive industries that are a big part of the economy oppose the dump. New Mexico has suffered enough as an immoral national sacrifice zone at the short-sighted hands of the nuclear industry, including extremely hazardous abandoned uranium mines, the Manhattan Project, Trinity Test, plutonium contamination in the rivers downstream from Los Alamos, uranium enrichment, and hosting the nations transuranic waste at the Waste Isolation Pilot Plant. As one of the poorest states, and a majority minority state, New Mexico has unfairly experienced heinous environmental racism for decades. People of Color continue to be disproportionately impacted by hazardous and toxic wastes. (Samia Assed, Chair of the New Mexico Poor Peoples Campaign; see: www.nonuclearwaste.org) NRC should meticulously assess the multiple stresses on New Mexicans and all of the numerous failures to compensate them over the history of the atomic age;there isn't enough compensation in the world for what these people have gone through.

CASK DANGERS. None of todays certified waste containers are designed for real world transport conditions (temperatures, crash speeds, submersion in deep water) and have not been sufficiently or appropriately physically tested despite dump-promoters underhanded misuse of 40 year-old crash-test videos on totally different casks. The storage containers cannot ever be monitored for potential cracks and leaks, inspected, repaired or replaced even though we all know with absolute certainty the waste will be dangerous longer than they will last. The technology is in the future according to NRC staff. Nuclear Regulatory Commission (NRC) should include strict evaluation of moving 10s of 1000s of shipments of the most deadly radioactive waste in super-heavy, inadequate containers over deteriorating railroad tracks, roads and bridgesimpacts from many thousands of shipments on crumbling, out-dated infrastructure, on people, businesses, communities, resources all along the way

2 HOTTER HIGH LEVEL WASTE. NRC should include full, rigorous evaluation of high burn-up fuel. It is a significant portion of the waste that would go to Holtec.

EMERGENCY RESPONSE. Assess and report on the reliability and degree of capability of volunteer and distantly-located emergency response personnel upon which the site will completely rely. Include availability, training, equipping and notification of emergency responders all along the routes.

HARSH ENVIRONMENT. Consider, in more than a careless, immoral, cursory dismissive way, the advanced number of decades of high temperatures, salty dry climate, potential flash floods, lightning, burrowing animals, sand, blocked vents, wind, rain, fire on the casks and waste. Assume increased earthquake risks and other impacts from fracking (which is not prohibited) near and under the site!

CONSOLIDATED INTERIM STORAGE (CIS) COULD easily and unfortunately BECOME PERMANENT. NRC must analyze the consequences of the waste remaining indefinitely at the sitenever moving to another location. Holtec proposes to consolidate up to 173,600 metric tons of high-level waste from all US nuclear power reactors to New Mexico, near the famous irreplaceable, iconic Carlsbad Caverns, to temporarily store for 40-120 years. (It could take 40+ years to move it there!) The waste would allegedly be moved again but if no permanent site is found or money to move it again never appears, it could potentially stay forever, despite not, in any way, being designed for permanent isolation.

REPROCESSING + PROLIFERATION DANGER. NRC, analyze the possibility of the waste being reprocessed at the site, since consolidating waste is the first step to many horrific and unnecessary steps;extremely dangerous reprocessing to extract plutonium, increasing nuclear weapons proliferation, massive water use and intense, totally irreversible environmental contamination. Reprocessing was proposed at this same site before and must be addressed in the EIS.

Ms. Jean Farris 2411 Vine St.

Orlando, FL 32806 407-894-0574

Federal Register Notice:

83FR13802 Comment Number:

1960 Mail Envelope Properties (1054893717.26197.1532616137328.JavaMail.tomcat)

Subject:

[External_Sender] COMMENT TO the NRC on Docket ID NRC-2018-0052:

Holtec Internationals HI-STORE Consolidated Interim Storage Facility Project Sent Date:

7/26/2018 10:42:17 AM Received Date:

7/26/2018 10:42:19 AM From:

Jean Farris Created By:

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