ML18317A220

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NRR E-mail Capture - (External_Sender) Questions and Comments Regarding Pilgrim EP Exemption RAI, October 16, 2018
ML18317A220
Person / Time
Site: Pilgrim
Issue date: 11/11/2018
From: Lampert M
Pilgrim Watch, Town of Duxbury, MA
To: John Lamb
Special Projects and Process Branch
References
Download: ML18317A220 (9)


Text

NRR-DMPSPEm Resource From: Mary Lampert <mary.lampert@comcast.net>

Sent: Sunday, November 11, 2018 11:11 AM To: Lamb, John

Subject:

[External_Sender] questions and comments regarding Pilgrim EP Exemption RAI, October 16, 2018.

Attachments: RAI Pilgrim Emergency Planning -PW to NRC 11.11.18.pdf Mr. Lamb:

Attached please find questions and comments regarding Pilgrim EP Exemption RAI, October 16, 2018.

If you have difficulty downloading the document or any questions, please contact us.

A courtesy of notice of receipt by return email is requested.

Thank you 1

Hearing Identifier: NRR_DMPS Email Number: 662 Mail Envelope Properties (00ee01d479d9$284b13a0$78e13ae0$)

Subject:

[External_Sender] questions and comments regarding Pilgrim EP Exemption RAI, October 16, 2018.

Sent Date: 11/11/2018 11:11:08 AM Received Date: 11/11/2018 11:11:23 AM From: Mary Lampert Created By: mary.lampert@comcast.net Recipients:

"Lamb, John" <John.Lamb@nrc.gov>

Tracking Status: None Post Office: comcast.net Files Size Date & Time MESSAGE 278 11/11/2018 11:11:23 AM RAI Pilgrim Emergency Planning -PW to NRC 11.11.18.pdf 360825 Options Priority: Standard Return Notification: No Reply Requested: No Sensitivity: Normal Expiration Date:

Recipients Received:

TO: John Lamb DATE: November 11, 2018

SUBJECT:

RAI - Pilgrim EP Exemption RAI, October 16, 2018 Mr. Lamb:

RA1-PNPS-1 asks the licensee to: Please provide additional details regarding the diverse mitigation strategies, to include the identification of the trained on-shift personnel designated for carrying out the necessary tasks and the timeframe for implementation of these diverse mitigation strategies.

Questions:

x We note that Entergy has requested deletion of onsite protective actions during hostile action from 10 CFR 50 Appendix E (IV)(1), but that its requested deletion of hostile action A(7) retains the requirement to address attack by air, land, or water using guns, explosives, projectiles, vehicles, or other devices used to deliver destructive force.

Will Entergy in its response be required to consider, as it should, terrorist threats or does it improperly assume a zero chance of sabotage or terrorist act? A successful terrorist attack could produce a significant consequent radiation field making it unlikely that there will be a sufficient number of trained on-shift personnel designated for carrying out the necessary tasks and timeframe for implementation of these diverse mitigation strategies.

x If Entergy does not factor in a terrorist threat, on what basis could or would the NRC accept Entergys response and grant Entergy an exemption, recognizing the undeniable fact that a terrorist attack scenario could cause partial drain-down and a local radiation field precluding access?

RAI-PNPS-3 considers a request for exemption from the requirement that licensees shall establish and maintain the capability to assess, classify, and declare an emergency condition within 15 minutes to 30 minutes.

The RAI asks Entergy to: Please provide documentation that the Commonwealth of Massachusetts and the Town of Plymouth is in agreement with the proposed 30-minute declaration time and the 60-minute timeframe for notification.

Questions:

x Why does the RAI ask only for documentation that the Commonwealth and the Town of Plymouth agrees with the proposed 30- minute declaration time and 60-minute notification time, and not also require the same information from each of the other EPZ towns and the reception centers host communities?

Much of Duxbury, including our residence, is far closer to Pilgrim NPS than are many parts of Plymouth.

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x More basic, the NRC should ask Entergy for the facts, both those supporting its apparent assumption that it will take offsite communities less time to mobilize offsite emergency response resources when the impacted communities and Commonwealth no longer receive radiological emergency funding from the licensee and consequently loses essential EP resources, and any facts to the contrary.

RAI-PNPS-4 concerns the exemption for item 104 in Table 2; and asks Entergy to provide further justification for Footnote 3.

Entergys exemption request item 104, Table 2 reads:

Contrary to what Entergy said in its exemption request, our understanding is that Entergy is not exempt, and it certainly should not be exempt, from the umbrella provisions of Section F-2 that require plans that describe provisions for the conduct of emergency preparedness exercises, and require Entergy to test the adequacy of timing and content of implementing procedures and methods, test emergency equipment and communications networks, test the public alert and notification system, and ensure that emergency organization personnel are familiar with their duties.

This being so, there is no apparent justification for Entergys requested exemption from footnotes 4 (that defines full participation, or footnote 5 (that defines partial participation.

As for footnote 3 (Use of site- specific simulators or computers is acceptable for any exercise),

we are uncertain why Entergy has requested this be exempted. The only apparent reason is that Entergy does not intend to conduct either real or simulated exercises, which should be plainly unacceptable.

Question Practice makes perfect. Does Entergy assume that a problem requiring emergency response actions, such as cask leakage, terrorist attack, etc., would not require robust emergency planning exercises? If so, on what bases does NRC find the assumption defensible and acceptable?

Summary A disturbing theme in Entergys exemption requests is that it assumes a zero chance of sabotage or terrorist act that could cause problems sooner than 10 hours1.157407e-4 days <br />0.00278 hours <br />1.653439e-5 weeks <br />3.805e-6 months <br />. This is exacerbated by NRC allowing security measures to be significantly reduced after permanent closure; without security measures, the security threat would seem to rise, not disappear.

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Therefore, if NRC accepts Entergys exemption requests, we ask NRC to provide its basis for doing so by responding specifically (with reference to studies) that would refute each point raised below.

Reactors make ideal targets for outside or inside attackers for the simple reasons that they contain large amounts of radioactivity that could create severe impacts, and their defense is light in a military sense. The design of GE BWR Mark I reactors like Pilgrim makes those reactors highly vulnerable to attack because their spent fuel pools are in the top floor of the reactor, outside primary containment with a light roof structure overhead. In addition, Pilgrims spent fuel when removed from inside the reactor is placed in thin-walled dry casks. The casks are stacked vertically out in the open making them vulnerable to attack. Each cask contains about 1/2 the Cesium-137 released during the Chernobyl accident.

The following table, prepared by Dr. Gordon Thompson for the Massachusetts Attorney General,1 summarizes available means of attack. It shows that nuclear power plants are vulnerable.

1The Massachusetts Attorney Generals Request for a Hearing and Petition for Leave to Intervene With respect to Entergy Nuclear Operations Inc.s Application for Renewal of the Pilgrim Nuclear Power Plants Operating License and Petition for Backfit Order Requiring New Design features to Protect Against Spent Fuel Pool Accidents, Docket No.

50-293, May 26, 2006 includes a Report to The Massachusetts Attorney General On The Vulnerability of Pilgrims Spent Fuel Pool - Risks and Risk-Reducing Options Associated with Pool Storage of Spent Nuclear Fuel at the Pilgrim and Vermont Yankee Nuclear Power Plants, Gordon Thompson, May 25, 2006 3

Dr. Gordon Thompson also analyzed the impact of a shaped charge as one potential instrument of attack.[30] The analysis shows that the cylindrical wall of the canister is about 1/2 inch (1.3 cm) thick, and could be readily penetrated by available weapons. The spent fuel assemblies inside the canister are long, narrow tubes made of zirconium alloy, inside of which uranium oxide fuel pellets are stacked. The walls of the tubes (the fuel cladding) are about 0.023 inch (0.6 mm) thick. Zirconium is a flammable metal.

[30] Gordon R. Thompson, Environmental Impacts of storing Spent Nuclear Fuel and High- Level Waste from Commercial Nuclear Reactors: A Critique of NRC's Waste Confidence Decision and Environmental Impact Determination (Cambridge, Massachusetts: Institute for Resource and Security Studies, 6 February 2009). Tables also in Declaration of 1 August 2013 by Gordon R. Thompson: Comments on the US Nuclear Regulatory Commissions Draft Consequence Study of a Beyond-Design-Basis Earthquake Affecting the Spent Fuel Pool for a US Mark I Boiling Water Reactor 4

Table 7-7: Performance of US Army Shaped Charges, M3 and M2A3 Target Indicator Type of Shaped Charge Material M3 M2A3 Reinforced Maximum wall thickness 60 in 36 in concrete that can be perforated Depth of penetration in 60 in 30 in thick walls Diameter of hole

  • 5 in at entrance
  • 3.5 in at entrance
  • 2 in minimum
  • 2 in minimum Depth of hole with second 84 in 45 in charge placed over first hole Armor plate Perforation At least 20 in 12 in Average diameter of hole 2.5 in 1.5 in Notes: (a) Data are from: Army, 1967, pp 13-15 and page 100. (b) The M2A3 charge has a mass of 12 lb, a maximum diameter of 7 in, and a total length of 15 in including the standoff ring. (c) The M3 charge has a mass of 30 lb, a maximum diameter of 9 in, a charge length of 15.5 in, and a standoff pedestal 15 in long.

Table 7-8: Types of Atmospheric Release from a Spent-Fuel-Storage Module at an ISFSI as a Result of a Potential Attack Type of Event Module Behavior Relevant Characteristics of Instruments and Atmospheric Modes of Attack Release Type I:

  • Entire module is
  • Module is within
  • Radioactive Vaporization vaporized the fireball of a content of module is nuclear-weapon lofted into the explosion atmosphere and amplifies fallout Type II: Rupture
  • MPC and overpack
  • Aerial bombing
  • Solid pieces of and Dispersal are broken open
  • Artillery, rockets, various sizes are (Large)
  • Fuel is dislodged etc. scattered in vicinity from MPC and
  • Effects of blast etc.
  • Gases and small broken apart outside the fireball particles form an
  • Some ignition of of a nuclear weapon aerial plume that zircaloy fuel explosion travels downwind cladding may occur,
  • Some release of without sustained volatile species (esp.

combustion cesium-137) if incendiary effects occur 5

Type III: Rupture

  • MPC and overpack
  • Vehicle bomb
  • Scattering and and Dispersal are ruptured but
  • Impact by plume formation as (Small) retain basic shape commercial aircraft for Type II event,
  • Fuel is damaged
  • Perforation by but involving but most rods shaped charge smaller amounts of retain basic shape material
  • No combustion
  • Little release of inside MPC volatile species Type IV: Rupture
  • MPC is ruptured,
  • Missiles with
  • Scattering and and Combustion allowing air ingress tandem warheads plume formation as and egress
  • Close-up use of for Type III event
  • Substantial cladding is ignited and incendiary release of volatile and combustion devices species, exceeding propagates within
  • Thermic lance amounts for Type II the MPC
  • Removal of release overpack lid One scenario for an atmospheric release from a dry cask would involve mechanically creating a comparatively small hole in the canister. This could be the result, for example, of the air blast produced by a nearby explosion, or by the impact of an aircraft or missile. If the force was sufficient to puncture the canister, it would also shake the spent fuel assemblies and damage their cladding. A hole with an equivalent diameter of 2.3 mm would release radioactive gases and particles and result in an inhalation dose (CEDE) of 6.3 rem to a person 900 m downwind from the release. Most of that dose would be attributable to release of two-millionths (1.9E-
06) of the MPC's inventory of radioisotopes in the "fines" category.

Another scenario for an atmospheric release would involve the creation of one or more holes in a canister, with a size and position that allows ingress and egress of air. In addition, this scenario would involve the ignition of incendiary material inside the canister, causing ignition and sustained burning of the zirconium alloy cladding of the spent fuel. Heat produced by burning of the cladding would release volatile radioactive material to the atmosphere. Heat from combustion of cladding would be ample to raise the temperature of adjacent fuel pellets to well above the boiling point of cesium.

Potential for Release from a Cask and Consequences: Dr. Thompson observed that a cask is not robust in terms of its ability to withstand penetration by weapons that are available to sub-national groups. A typical cask would contain 1.3 MCi of cesium-137, about half the total amount of cesium-137 released during the Chernobyl reactor accident of 1986. Most of the offsite radiation exposure from the Chernobyl accident was due to cesium-137. Thus, a fire inside an ISFSI module, as described in the preceding paragraph, could cause significant radiological harm.

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Options to reduce risk are not being used at Pilgrim: Thick-walled metal casks, disperse the casks, and protect the casks by berms or bunkers in a configuration to insure that pooling of aircraft fuel would not occur in the event of an aircraft impact. Other options include placing the ISFSI in a building to reduce line of sight attack; and less effective, erecting blast shields.

We look forward to a timely response.

Mary & Jim Lampert Pilgrim Watch Town of Duxbury Nuclear Advisory Committee 148 Washington Street Duxbury, MA 02332 Tel. 781-934-0389 Email: mary.lampert@comcast.net 7