ML19308B667

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Comments on Proposed Draft Settlement in City of Lancaster Vs NRC & on Sf Eilperin 791219 Memo.Proposes Definition for Accident Generated Water. Programmatic EIS Should Be No Broader than NRC Policy Statement
ML19308B667
Person / Time
Site: Crane 
Issue date: 12/28/1979
From: Jay Collins
NRC - TMI-2 OPERATIONS/SUPPORT TASK FORCE
To: Vollmer R
NRC - TMI-2 OPERATIONS/SUPPORT TASK FORCE
Shared Package
ML19308B663 List:
References
7901228, NUDOCS 8001160622
Download: ML19308B667 (1)


Text

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  1. "8"4g UNITED ETATEE NUCLEAR REGULATORY COMMISSION

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WASHINGTON, D. C. 20f 55 Decen:ber 28, 1979

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MEMORANDUM,FOR:

rt. H. Vollmer, Director, TMI Support fROM:

J. T. Collins, Deputy Director, IMI Support SUBJEC1:

PROPOSED DRAFT SETTLEMEllT IN CITY OF LANCASTER, LT AL V NRC NO. 79-1368 I have reviewed the draft settlement, subject as above, and Steve Eilperin's memo to you of December 10, same subject, and I have the following comments.

1.

Definition of " accident generated water".

l Those waters:

a.f That existed in the TF1I-2 Auxiliary, Fuel Handling, and Containment Buildings including the Primary System.

b.

That have a total activity of greater than luci/mi prior to processing.

c '.' That contain greater than 0.025 uCi/ml of tritium before processing, d.

Non-Accident water used for flushing or accontamination that comingle with " accident generated water".

I concur with Eilperin's concient that the programatic environmental impact statement should refer to and be no broader than what is promised in the Comission's policy statement.

2.

Under no circumstances should 'we comit on an absolute basis to no dis-charge of water through 1981. Met-Ed is suppose to provide us by the end of January a report which demonstrates their capability to retain processed water on slLe for this two year period. Prior to making any commitment, i

the staff should independently evaluate the licensee capability.

3-4.

Items 3 & 4 are utility related, however, Bob Arnold has informed me that Met-Ed will provide a monitor satisfactory to the utility and comit to maintain it for the recuvery period not for the entire life of the plant.

5.

Item 5 is a legal question to be handled by OGC, b& &

. T. collins Deputy Director TMI Support cc:

S. Eilperin 8001160

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