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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217D5211999-09-30030 September 1999 Informs That Remediating 3D Monicore Sys at Pbaps,Units 2 & 3 & 3D Monicore/Plant Monitoring Sys at Lgs,Unit 2 Has Been Completed Ahead of Schedule ML20216J3981999-09-29029 September 1999 Submits Comments for Lgs,Unit 1 & Pbaps,Units 2 & 3 Rvid,Rev 2,based on Review as Requested in GL 92-01,rev 1,suppl 1, Reactor Vessel Structural Integrity ML20212J6561999-09-29029 September 1999 Informs of Completion of mid-cycle PPR of Limerick Generating Station on 990913.Identified No Areas in Which Licensee Performance Warranted Addl Insp Beyond Core Insp Program.Historical Listing of Plant Issues Encl ML20212H6401999-09-24024 September 1999 Forwards Revised Epips,Including Rev 11 to ERP-101 & Rev 18 to ERP-800.Copy of Computer Generated Rept Index Identifying Latest Revs of LGS Erps,Encl ML20212E7941999-09-22022 September 1999 Requests Authorization for Listed Licensed Operators to Temporarily Suspend Participation in Licensed Operator Requalification Program at LGS ML20212E8081999-09-22022 September 1999 Provides Notification That Listed Operators Have Been Permanently Reassigned to Duties That Do Not Require Maintaining Licensed Operator Status,Per 10CFR50.74 ML20212F5481999-09-20020 September 1999 Forwards Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing, for Pbaps,Units 2 & 3 & Lgs,Units 1 & 2 ML20212F8991999-09-17017 September 1999 Provides Written Confirmation That Thermo-Lag 330-1 Fire Barrier Corrective Actions at Lgs,Units 1 & 2 Have Been Completed 05000353/LER-1999-010, Forwards LER 99-010-00,re Manual Actuation of Esf.Main CR Ventilation Sys Was Placed in Chlorine Isolation Mode Due to Rept of Faint Odor of Chlorine in Unit 2 Reactor Encl1999-09-16016 September 1999 Forwards LER 99-010-00,re Manual Actuation of Esf.Main CR Ventilation Sys Was Placed in Chlorine Isolation Mode Due to Rept of Faint Odor of Chlorine in Unit 2 Reactor Encl ML20216F7821999-09-16016 September 1999 Forwards Insp Repts 50-352/99-05 & 50-353/99-05 on 990713-0816.One Violation Noted & Being Treated as NCV, Consistent with App C of Enforcement Policy.Violation Re Inoperability of Automatic Depression Sys During Maint ML20212A8751999-09-13013 September 1999 Forwards Safety Evaluation of First & Second 10-year Interval Inservice Insp Plan Request for Relief ML20211N5061999-09-0909 September 1999 Forwards TSs Bases Pages B 3/4 10-2 & B 3/4 2-4 for LGS, Units 1 & 2,being Issued to Assure Distribution of Revised Bases Pages to All Holders of TSs ML20212A0091999-09-0909 September 1999 Provides Notification That Licenses SOP-11172 & SOP-11321, for SO Muntzenberger & Rh Wright,Respectively,Are No Longer Necessary as Result of Permanent Reassignment ML20211P8571999-09-0808 September 1999 Forwards Reactor Operator Retake Exams 50-352/99-303OL & 50-353/99-303OL Conducted on 990812 ML20211P3891999-09-0303 September 1999 Informs That During 990902 Telcon Between J Williams & B Tracy,Arrangements Were Made for NRC to Inspect Licensed Operator Requalification Program at Plant.Insp Planned for Wk of 991018 05000352/LER-1999-009, Forwards LER 99-009-00,providing 30-day Written follow-up Rept Re Performance of Maint That Affected Safeguard Sys for Which Compensatory Measures Had Not Been Employed1999-09-0101 September 1999 Forwards LER 99-009-00,providing 30-day Written follow-up Rept Re Performance of Maint That Affected Safeguard Sys for Which Compensatory Measures Had Not Been Employed ML20211H2571999-08-26026 August 1999 Informs of Individual Exam Result on Initial Retake Exam on 990812.One Individual Was Administered Exam & Passed ML20211E9191999-08-24024 August 1999 Forwards fitness-for-duty Program Performance Data for Jan-June 1999 for PBAPS & LGS IAW 10CFR26.71(d).Data Includes Listed Info ML20211E9731999-08-23023 August 1999 Forwards LGS Unit 2 Summary Rept for 970228 to 990525 Periodic ISI Rept Number 5, Per TS SRs 4.0.5 & 10CFR50.55a(g) ML20211D6761999-08-20020 August 1999 Forwards non-proprietary Revised Emergency Response Procedures (Erps),Including Rev 29 to ERP-110, Emergency Notification & Rev 17 to ERP-800, Maint Team & Proprietary App ERP-110-1.App Withheld Per 10CFR2.790(a)(6) ML20210T4271999-08-13013 August 1999 Informs That NRC Revised Info in Rvid & Releasing Rvid Version 2 as Result of Review of 980830 Responses to GL 92-01 Rev 1,GL 92-01 Rev 1 Suppl 1 & Suppl Rai.Tacs MA1197 & MA1198 Closed ML20210U2211999-08-10010 August 1999 Forwards Insp Repts 50-352/99-04 & 50-353/99-04 on 990525-0712.One Violation Occurred & Being Treated as NCV, Consistent with App C of Enforcement Policy.Violation Re Late Performance of off-gas Grab Sample Surveillance 05000353/LER-1999-005, Forwards LER 99-005-00,re Actuation of Primary Containment & Reactor Vessel Isolation Control Sys,Esf.Fuse Failed Due to Mechanical Failure of Cold Solder Joint1999-08-10010 August 1999 Forwards LER 99-005-00,re Actuation of Primary Containment & Reactor Vessel Isolation Control Sys,Esf.Fuse Failed Due to Mechanical Failure of Cold Solder Joint ML20211B7881999-08-10010 August 1999 Transmits Summary of Two Meetings with Risk-Informed TS Task Force in Rockville,Md on 990514 & 0714 ML20210M7571999-08-0404 August 1999 Forwards Response to Requesting Addl Info Re Status of Decommissioning Funding for Lgs,Pbaps & Sngs. Attachment Provides Restatement of Questions Followed by Response ML20210P4191999-08-0404 August 1999 Forwards Initial Exam Repts 50-352/99-302 & 50-353/99-302 on 990702-04 (Administration) & 990715-22 (Grading).Six of Limited SRO Applicants Passed All Portion of Exam NUREG-1092, Informs J Armstrong of Individual Exam Results for Applicants on Initial Exam Conducted on 990702 & 990712-14 at Facility.All Six Individuals Who Were Administered Exam, Passed Exam.Without Encls1999-08-0303 August 1999 Informs J Armstrong of Individual Exam Results for Applicants on Initial Exam Conducted on 990702 & 990712-14 at Facility.All Six Individuals Who Were Administered Exam, Passed Exam.Without Encls ML20210L2011999-07-28028 July 1999 Forwards Final Personal Qualification Statement (NRC Form 398) for Reactor Operator License Candidate LB Mchugh ML20211F2641999-07-27027 July 1999 Forwards Three Copies of Rev 12 to LGS Physical Security Plan, Rev 4 to LGS Training & Qualification Plan & Rev 2 to LGS Safeguards Contingency Plan. Without Encls 05000352/LER-1999-008, Forwards LER 99-008-00 Re 990623 Failure of Plant HPCI Sys to Start Due to Failure of HPCI Turbine,Hydraulic Actuator1999-07-23023 July 1999 Forwards LER 99-008-00 Re 990623 Failure of Plant HPCI Sys to Start Due to Failure of HPCI Turbine,Hydraulic Actuator 05000353/LER-1999-004, Forwards LER 99-004-00 Re 990701 Discovery of Pressure Setpoint Drift of Thirteen Mss SRV Due to Corrosion Induced Bonding within SRVs1999-07-23023 July 1999 Forwards LER 99-004-00 Re 990701 Discovery of Pressure Setpoint Drift of Thirteen Mss SRV Due to Corrosion Induced Bonding within SRVs ML20210E6211999-07-22022 July 1999 Submits Rev to non-limiting Licensing Basis LOCA Peak Clad Temps (Pcts) for Limerick Generating Station (Lgs),Units 1 & 2 & Pbaps,Units 2 & 3 ML20216D3081999-07-19019 July 1999 Requests Renewal of OLs for Listed Individuals,Iaw 10CFR55.57.NRC Forms 398 & 396,encl for Applicants.Without Encl ML20216D8041999-07-19019 July 1999 Submits Summary of Final PECO Nuclear Actions Taken to Resolve Scram Solenoid Pilot Valve Issues Identified in Info Notice 96-007 05000352/LER-1999-006, Forwards LER 99-006-00 Re 990614 Discovery That Grab Sample of Plant Offgas Sys Was Not Obtained within Time Limit Required by TS 3.3.7.12,Action 110 Due to Personnel Error1999-07-12012 July 1999 Forwards LER 99-006-00 Re 990614 Discovery That Grab Sample of Plant Offgas Sys Was Not Obtained within Time Limit Required by TS 3.3.7.12,Action 110 Due to Personnel Error ML20209F6341999-07-0909 July 1999 Submits Supplemental Response to GL 94-03, Intergranular Stress Corrosion Cracking of Core Shrouds in Bwrs, for Unit 2.Rev 0 to 1H61R & GE-NE-B13-02010-33NP Repts & Revised Pages to Summary Rept Previously Submitted,Encl ML20209G9121999-07-0909 July 1999 Informs That Ja Hutton Has Been Appointed Director,Licensing for PECO Nuclear,Effective 990715.Previous Correspondence Addressed to Gd Edwards Should Now Be Sent to Ja Hutton ML20209C9041999-07-0808 July 1999 Forwards Monthly Operating Repts for June 1999 for Limerick Generating Station,Units 1 & 2 & Revised Monthly Repts for May 1999 ML20210B4441999-07-0808 July 1999 Forwards Preliminary NRC Form 398 & NRC Form 396 for Reactor Operator for License Candidate LB Mchugh.Candidate Failed Category B Portion of Operating Exam Given at LGS During Week of 990315.Tentative re-exam Has Been Scheduled 990812 05000353/LER-1999-003, Forwards LER 99-003-00,re Bypass of RW Cleanup Leak Detection Sys Isolation Function on Three Separate Occasions.Bypass of Safety Function Was Caused by Inadequate Review & Approval of Change to Procedure1999-07-0707 July 1999 Forwards LER 99-003-00,re Bypass of RW Cleanup Leak Detection Sys Isolation Function on Three Separate Occasions.Bypass of Safety Function Was Caused by Inadequate Review & Approval of Change to Procedure ML20209D8821999-07-0707 July 1999 Submits Estimate of Number of Licensing Actions Expected to Be Submitted in Years 2000 & 2001,as Requested by Administrative Ltr 99-02.Renewal Applications for PBAPS, Units 2 & 3,will Be Submitted in Second Half of 2001 ML20209D2671999-07-0202 July 1999 Responds to NRC 990322 & 0420 RAI Re GL 96-05, Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves ML20196J6301999-07-0101 July 1999 Requests Addl Info Re Status of Decommissioning Funding for Limerick Generating Station,Units 1 & 2,Peach Bottom Atomic Power Station,Units 1,2 & 3 & Salem Nuclear Generating Station,Units 1 & 2 05000352/LER-1999-004, Forwards LER 99-004-00,re Inoperability of Automatic Depressurization Sys Portion of Eccs.Condition Resulted from Incomplete Impact Review of Isolating Portion of ADS Nitrogen Backup Supply on Operability of ECCS Sys1999-07-0101 July 1999 Forwards LER 99-004-00,re Inoperability of Automatic Depressurization Sys Portion of Eccs.Condition Resulted from Incomplete Impact Review of Isolating Portion of ADS Nitrogen Backup Supply on Operability of ECCS Sys ML20209B7001999-06-30030 June 1999 Responds to GL 98-01,Suppl 1, Y2K Readiness of Computer Sys at Nuclear Power Plants ML20212J5401999-06-28028 June 1999 Discusses Completion of Licensing Action for NRC Bulletin 96-003, Potential Plugging of ECC Suction Strainers by Debris in Bwrs. Bulletin Closed for Unit 2 by NRC ML20207H8271999-06-24024 June 1999 Informs NRC That Util Has Completed Core Shroud Insps for LGS Unit 2.Proprietary Rept GE-NE-B13-02010-33P & non-proprietary Rev 0 to 1H61R,encl.Proprietary Rept Withheld,Per 10CFR2.790(a)(4) ML20196G7041999-06-24024 June 1999 Forwards Insp Repts 50-352/99-03 & 50-353/99-03 on 990413- 0524.No Violations Noted.Nrc Concluded That Licensee Staff Continued to Operate Both Units Safely ML20196A5641999-06-15015 June 1999 Provides Info Re Util Use of Four Previously Irradiated LGS, Unit 1,GE11 Assemblies in Unit 2 Cycle 6.Encl 990518 GE Ltr Provides Objective of Lead Use Assemblies Program & Outlines Kinds of Measurements That Will Be Made on Assemblies ML20195J6831999-06-11011 June 1999 Provides Proprietary Objectives for Lgs,Units 1 & 2,1999 Emergency Preparedness Exercise Scheduled to Be Conducted on 990914.Licensee Identifies Which Individuals Should Receive Copies of Info.Proprietary Info Withheld 1999-09-09
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20217D5211999-09-30030 September 1999 Informs That Remediating 3D Monicore Sys at Pbaps,Units 2 & 3 & 3D Monicore/Plant Monitoring Sys at Lgs,Unit 2 Has Been Completed Ahead of Schedule ML20216J3981999-09-29029 September 1999 Submits Comments for Lgs,Unit 1 & Pbaps,Units 2 & 3 Rvid,Rev 2,based on Review as Requested in GL 92-01,rev 1,suppl 1, Reactor Vessel Structural Integrity ML20212H6401999-09-24024 September 1999 Forwards Revised Epips,Including Rev 11 to ERP-101 & Rev 18 to ERP-800.Copy of Computer Generated Rept Index Identifying Latest Revs of LGS Erps,Encl ML20212E7941999-09-22022 September 1999 Requests Authorization for Listed Licensed Operators to Temporarily Suspend Participation in Licensed Operator Requalification Program at LGS ML20212E8081999-09-22022 September 1999 Provides Notification That Listed Operators Have Been Permanently Reassigned to Duties That Do Not Require Maintaining Licensed Operator Status,Per 10CFR50.74 ML20212F5481999-09-20020 September 1999 Forwards Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing, for Pbaps,Units 2 & 3 & Lgs,Units 1 & 2 ML20212F8991999-09-17017 September 1999 Provides Written Confirmation That Thermo-Lag 330-1 Fire Barrier Corrective Actions at Lgs,Units 1 & 2 Have Been Completed 05000353/LER-1999-010, Forwards LER 99-010-00,re Manual Actuation of Esf.Main CR Ventilation Sys Was Placed in Chlorine Isolation Mode Due to Rept of Faint Odor of Chlorine in Unit 2 Reactor Encl1999-09-16016 September 1999 Forwards LER 99-010-00,re Manual Actuation of Esf.Main CR Ventilation Sys Was Placed in Chlorine Isolation Mode Due to Rept of Faint Odor of Chlorine in Unit 2 Reactor Encl ML20212A0091999-09-0909 September 1999 Provides Notification That Licenses SOP-11172 & SOP-11321, for SO Muntzenberger & Rh Wright,Respectively,Are No Longer Necessary as Result of Permanent Reassignment 05000352/LER-1999-009, Forwards LER 99-009-00,providing 30-day Written follow-up Rept Re Performance of Maint That Affected Safeguard Sys for Which Compensatory Measures Had Not Been Employed1999-09-0101 September 1999 Forwards LER 99-009-00,providing 30-day Written follow-up Rept Re Performance of Maint That Affected Safeguard Sys for Which Compensatory Measures Had Not Been Employed ML20211E9191999-08-24024 August 1999 Forwards fitness-for-duty Program Performance Data for Jan-June 1999 for PBAPS & LGS IAW 10CFR26.71(d).Data Includes Listed Info ML20211E9731999-08-23023 August 1999 Forwards LGS Unit 2 Summary Rept for 970228 to 990525 Periodic ISI Rept Number 5, Per TS SRs 4.0.5 & 10CFR50.55a(g) ML20211D6761999-08-20020 August 1999 Forwards non-proprietary Revised Emergency Response Procedures (Erps),Including Rev 29 to ERP-110, Emergency Notification & Rev 17 to ERP-800, Maint Team & Proprietary App ERP-110-1.App Withheld Per 10CFR2.790(a)(6) 05000353/LER-1999-005, Forwards LER 99-005-00,re Actuation of Primary Containment & Reactor Vessel Isolation Control Sys,Esf.Fuse Failed Due to Mechanical Failure of Cold Solder Joint1999-08-10010 August 1999 Forwards LER 99-005-00,re Actuation of Primary Containment & Reactor Vessel Isolation Control Sys,Esf.Fuse Failed Due to Mechanical Failure of Cold Solder Joint ML20210M7571999-08-0404 August 1999 Forwards Response to Requesting Addl Info Re Status of Decommissioning Funding for Lgs,Pbaps & Sngs. Attachment Provides Restatement of Questions Followed by Response ML20210L2011999-07-28028 July 1999 Forwards Final Personal Qualification Statement (NRC Form 398) for Reactor Operator License Candidate LB Mchugh ML20211F2641999-07-27027 July 1999 Forwards Three Copies of Rev 12 to LGS Physical Security Plan, Rev 4 to LGS Training & Qualification Plan & Rev 2 to LGS Safeguards Contingency Plan. Without Encls 05000352/LER-1999-008, Forwards LER 99-008-00 Re 990623 Failure of Plant HPCI Sys to Start Due to Failure of HPCI Turbine,Hydraulic Actuator1999-07-23023 July 1999 Forwards LER 99-008-00 Re 990623 Failure of Plant HPCI Sys to Start Due to Failure of HPCI Turbine,Hydraulic Actuator 05000353/LER-1999-004, Forwards LER 99-004-00 Re 990701 Discovery of Pressure Setpoint Drift of Thirteen Mss SRV Due to Corrosion Induced Bonding within SRVs1999-07-23023 July 1999 Forwards LER 99-004-00 Re 990701 Discovery of Pressure Setpoint Drift of Thirteen Mss SRV Due to Corrosion Induced Bonding within SRVs ML20210E6211999-07-22022 July 1999 Submits Rev to non-limiting Licensing Basis LOCA Peak Clad Temps (Pcts) for Limerick Generating Station (Lgs),Units 1 & 2 & Pbaps,Units 2 & 3 ML20216D3081999-07-19019 July 1999 Requests Renewal of OLs for Listed Individuals,Iaw 10CFR55.57.NRC Forms 398 & 396,encl for Applicants.Without Encl ML20216D8041999-07-19019 July 1999 Submits Summary of Final PECO Nuclear Actions Taken to Resolve Scram Solenoid Pilot Valve Issues Identified in Info Notice 96-007 05000352/LER-1999-006, Forwards LER 99-006-00 Re 990614 Discovery That Grab Sample of Plant Offgas Sys Was Not Obtained within Time Limit Required by TS 3.3.7.12,Action 110 Due to Personnel Error1999-07-12012 July 1999 Forwards LER 99-006-00 Re 990614 Discovery That Grab Sample of Plant Offgas Sys Was Not Obtained within Time Limit Required by TS 3.3.7.12,Action 110 Due to Personnel Error ML20209F6341999-07-0909 July 1999 Submits Supplemental Response to GL 94-03, Intergranular Stress Corrosion Cracking of Core Shrouds in Bwrs, for Unit 2.Rev 0 to 1H61R & GE-NE-B13-02010-33NP Repts & Revised Pages to Summary Rept Previously Submitted,Encl ML20209G9121999-07-0909 July 1999 Informs That Ja Hutton Has Been Appointed Director,Licensing for PECO Nuclear,Effective 990715.Previous Correspondence Addressed to Gd Edwards Should Now Be Sent to Ja Hutton ML20210B4441999-07-0808 July 1999 Forwards Preliminary NRC Form 398 & NRC Form 396 for Reactor Operator for License Candidate LB Mchugh.Candidate Failed Category B Portion of Operating Exam Given at LGS During Week of 990315.Tentative re-exam Has Been Scheduled 990812 ML20209C9041999-07-0808 July 1999 Forwards Monthly Operating Repts for June 1999 for Limerick Generating Station,Units 1 & 2 & Revised Monthly Repts for May 1999 05000353/LER-1999-003, Forwards LER 99-003-00,re Bypass of RW Cleanup Leak Detection Sys Isolation Function on Three Separate Occasions.Bypass of Safety Function Was Caused by Inadequate Review & Approval of Change to Procedure1999-07-0707 July 1999 Forwards LER 99-003-00,re Bypass of RW Cleanup Leak Detection Sys Isolation Function on Three Separate Occasions.Bypass of Safety Function Was Caused by Inadequate Review & Approval of Change to Procedure ML20209D8821999-07-0707 July 1999 Submits Estimate of Number of Licensing Actions Expected to Be Submitted in Years 2000 & 2001,as Requested by Administrative Ltr 99-02.Renewal Applications for PBAPS, Units 2 & 3,will Be Submitted in Second Half of 2001 ML20209D2671999-07-0202 July 1999 Responds to NRC 990322 & 0420 RAI Re GL 96-05, Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves 05000352/LER-1999-004, Forwards LER 99-004-00,re Inoperability of Automatic Depressurization Sys Portion of Eccs.Condition Resulted from Incomplete Impact Review of Isolating Portion of ADS Nitrogen Backup Supply on Operability of ECCS Sys1999-07-0101 July 1999 Forwards LER 99-004-00,re Inoperability of Automatic Depressurization Sys Portion of Eccs.Condition Resulted from Incomplete Impact Review of Isolating Portion of ADS Nitrogen Backup Supply on Operability of ECCS Sys ML20209B7001999-06-30030 June 1999 Responds to GL 98-01,Suppl 1, Y2K Readiness of Computer Sys at Nuclear Power Plants ML20207H8271999-06-24024 June 1999 Informs NRC That Util Has Completed Core Shroud Insps for LGS Unit 2.Proprietary Rept GE-NE-B13-02010-33P & non-proprietary Rev 0 to 1H61R,encl.Proprietary Rept Withheld,Per 10CFR2.790(a)(4) ML20196A5641999-06-15015 June 1999 Provides Info Re Util Use of Four Previously Irradiated LGS, Unit 1,GE11 Assemblies in Unit 2 Cycle 6.Encl 990518 GE Ltr Provides Objective of Lead Use Assemblies Program & Outlines Kinds of Measurements That Will Be Made on Assemblies ML20195J6831999-06-11011 June 1999 Provides Proprietary Objectives for Lgs,Units 1 & 2,1999 Emergency Preparedness Exercise Scheduled to Be Conducted on 990914.Licensee Identifies Which Individuals Should Receive Copies of Info.Proprietary Info Withheld ML20195G4591999-06-10010 June 1999 Forwards MORs for May 1999 & Revised Repts for Apr 1999 for LGS Units 1 & 2 ML20195H0531999-06-0909 June 1999 Forwards Revised Bases Pages B3/4 10-2 & B3/4 2-4 for LGS Units 1 & 2,in Order to Clarify That Requirements for Reactor Enclosure Secondary Containment Apply to Extended Area Encompassing Both Reactor Enclosure & Refueling Area ML20195E7701999-06-0707 June 1999 Provides Notification of Change to NPDES Permit PA0052221, for Bradshaw Reservoir Facility Which Supports Operation of Lgs,Units 1 & 2,per EPP Section 3.2 ML20195C7631999-06-0101 June 1999 Notifies NRC That PECO Energy Has Completed Installation of New Large Capacity,Passive Strainers on RHR & Core Spray Sys Pump Suction Lines at Lgs,Unit 2,in Response to Ieb 96-003 ML20195D5381999-05-26026 May 1999 Forwards 1998 Occupational Exposure Tabulation Rept for LGS Units 1 & 2. Encl Is Diskette & Instructions.Rept Is Being re-submitted to Reset 12 Month Time Period.Without Disk ML20195B2821999-05-24024 May 1999 Requests That NRC Distribution Lists for LGS Be Updated. Marked-up Distribution List Showing Changes Is Attached ML20196L2891999-05-20020 May 1999 Provides Status Update of Thermo-Lag 330-1 Fire Barrier Corrective Actions,Iaw Commitments Made in ML20195B2951999-05-20020 May 1999 Forwards Rev 0 to LGS Unit 2 Reload 5,Cycle 6 COLR, IAW TS Section 6.9.1.12.Values Listed Have Been Determined Using NRC-approved Methodology & Are Established Such That All Applicable Limits of Plants Safety Analysis Are Met 05000352/LER-1999-003, Forwards LER 99-003-00,re Rps,Pcrvics Actuations.Ler Contains Special Rept Info for HPCI & Reactor Core Isolation Cooling Sys Injections Into Rv1999-05-19019 May 1999 Forwards LER 99-003-00,re Rps,Pcrvics Actuations.Ler Contains Special Rept Info for HPCI & Reactor Core Isolation Cooling Sys Injections Into Rv 05000353/LER-1999-002, Forwards LER 99-002-00,automatic Actuations of Primary Containment & Reactor Vessel Isolation Control Sys & Other Common Plant ESF Due to Loss of Power to a Rps/Ups Power Distribution Panel on 9904191999-05-18018 May 1999 Forwards LER 99-002-00,automatic Actuations of Primary Containment & Reactor Vessel Isolation Control Sys & Other Common Plant ESF Due to Loss of Power to a Rps/Ups Power Distribution Panel on 990419 ML20206E2001999-04-28028 April 1999 Forwards 1998 Annual Environ Operating Rept (Non- Radiological) for Limerick Generating Station,Units 1 & 2. Rept Submitted IAW Section 5.4.1 of App B of Fols,Epp (Non- Radiological) & Describes Implementation of EPP for 1998 ML20206D8801999-04-27027 April 1999 Forwards Rev 2 to LGS Unit 1 Reload 7,Cycle 8 COLR, IAW TS Section 6.9.1.12.COLR Provides cycle-specific Parameter Limits for Noted Info ML20206A5461999-04-21021 April 1999 Responds to Conference Call Between Util & NRC on 990420,re TS Change Request 98-07-2,revising TS Section 2.0 to Incorporate Revised MCPR Safety Limits.Attached Ltr Contains Info Requested ML20205T0441999-04-17017 April 1999 Forwards 1998 Annual Radiological Environ Operating Rept 15, IAW TS Section 6.9.1.7.REMP for 1998,confirmed That LGS Environ Effects from Radioactive Release Were Well Below LGS TSs & Other Applicable Regulatory Limits ML20205Q7581999-04-15015 April 1999 Forwards Response to RAI Re ISI Program First & Second 10-Yr Interval Relief Requests.Revs to Identified by Vertical Bar in Right Margin 1999-09-09
[Table view] Category:OTHER U.S. GOVERNMENT AGENCY/DEPARTMENT TO NRC
MONTHYEARML20058L8901990-07-30030 July 1990 Advises That FEMA Grants Exemption from 10CFR50 App E for Biennial full-participation Onsite/Offsite Exercise ML20248E1141989-07-31031 July 1989 Forwards Radiological Emergency Preparedness Exercise Evaluation Rept,Limerick Generating Station, for Exercise on 890614.Deficiency Noted Re Inadequate Response Capability by Lower Pottsgrove Township ML20247K4031989-05-19019 May 1989 Forwards Final Exercise Rept for 890405 Exercise of Offsite Radiological Emergency Preparedness Plans site-specific to Facility.One Deficiency Noted Re Lower Pottsgrove Township Emergency Operations Ctr ML20247N1291989-05-19019 May 1989 Forwards Final Exercise Rept for 880405 Exercise of Offsite Radiological Emergency Preparedness Plans site-specific to Plant.Offsite Preparedness at Plant Not Adequate to Provide Reasonable Assurance That Public Health & Safety W/O Risk ML20236L2461987-07-30030 July 1987 Discusses Participation of Certain Ingestion Exposure Pathway EPZ-only States in Qualifying Exercises Used by NRC in Making Licensing Decisions for Operating Exercises.Listed Plants Noncompliant as of 870331 ML20212P3671987-03-0303 March 1987 Forwards Limerick Generating Station Site-Specific Offsite Radiological Emergency Preparedness Alert & Notification Sys QA Verification. Alert Sys Satisfies Requirements of Rev 1 to NUREG-0654/FEMA-REP-1 & FEMA-43 ML20214M6591986-09-0202 September 1986 Responds to NRC 860729 Request Re Establishment of Addl Traffic Controls on Pennsylvania Turnpike at Route 100. Chester County Radiological Response Plan Includes Placement of Three State Police Officers on Turnpike ML20204F2011986-07-29029 July 1986 Forwards Exercise Evaluation Rept for Limerick Generating Station for 860403 Exercise of Offsite Radiological Emergency Preparedness Plans.No Deficiencies Noted.Areas Requiring Corrective Actions Listed ML20135C1771985-09-0606 September 1985 Notifies of Util Application for Permit Re Use of Cooling Water from Beechwood Pit Filed W/Delaware River Basin Commission.Questions Raised Re Effects of Water on Quality of Schuylkill River & Need for Addl EIS-related Work ML20133G6411985-08-0606 August 1985 Supports Pennsylvania Emergency Mgt Agency Request to Exempt Chester County from Full Participation in Joint Exercises Involving Peach Bottom,Providing County Participates in Limerick Exercise ML20126J3191985-06-0606 June 1985 Forwards List of Local or Regional Medical Facilities Having Capabilities to Provide Treatment for Radiation Exposure in Vicinity of Plant,Per 850528 Request ML20129C0201985-05-30030 May 1985 Updates 850521 Memo Re Plant Offsite Planning & Preparedness.Verification That Traffic Control & Access Control Points Will Be Established in King of Prussia Area to Keep Evacuating Traffic in Motion Received ML20128C7241985-05-21021 May 1985 Forwards 850418 & 25 Draft FEMA Region III Exercise Evaluation Rept, of 850410 & 22 Remedial Exercises, Respectively ML20100J6951985-04-0909 April 1985 Forwards Pp Giordano 850329 Memo Forwarding Supplemental Findings on Offsite Radiological Emergency Preparedness for Facility.Deficiencies Listed.Plan Deemed Inadequate ML20127D6561985-03-27027 March 1985 Discusses 850307 Remedial Exercise at Graterford State Correctional Institution in Support of Facility.Portion of Category a Deficiencies Cited on 840725 Corrected ML20106E2981985-02-0101 February 1985 Forwards Exhibit Status Rept Re FEMA Exhibits Addressed at Hearing in Facility Proceeding ML20104A7061985-01-23023 January 1985 Responds to 841226 Memo Re FEMA Support for NRC Licensing of Facilities.Clarification from PA Emergency Mgt Agency Re Nature & Scheduling of Review of Revised Plans Requested. Index to Revised Plans Requested by 850201 ML20112H1971985-01-10010 January 1985 Forwards Exercise Evaluation Rept for 841120 Supplemental Exercise of Offsite Radiological Emergency Preparedness Plans.Supplemental Exercise Conducted to Correct Deficiency Identified in Initial Full Participation Exercise on 840725 ML20108E1221984-12-11011 December 1984 Forwards 841126 Notice of Appearance Re Offsite Emergency Planning Hearing,In Response to Request ML20094A9021984-11-0202 November 1984 Forwards FEMA Prefiled Testimony on Offsite Planning Issues. W/O Encl.Related Correspondence ML20098E3921984-09-25025 September 1984 Forwards Evaluation of 840725 Exercise of Offsite Radiological Emergency Preparedness Plans for Limerick.Plans Inadequate.Schedule of Corrective Actions Under Review ML20096E6741984-09-0505 September 1984 Discusses FEMA Position on ASLB Request for Release of FEMA Regional Draft Rept Re Jul 1984 Exercise to ASLB & Parties Prior to Review at Headquarters.Fema Has Never Released Unreviewed Repts of Subj Type ML20091P6631984-06-0606 June 1984 Comments on Fes Re Surface Water Hydrology & Water Quality. Comments Support Recommendation for Evaluation of Impacts During Schuylkill River Extreme Low Flow Conditions ML20091G3451984-05-25025 May 1984 Forwards FEMA Regional Assistance Committee 840427 Informal Evaluation of Offsite Radiological Emergency Response Plan. Rept Is Addendum to 840508 Interim Findings ML20084J8231984-05-0808 May 1984 Forwards Interim Finding on Offsite Radiological Emergency Response Plans for Limerick Generating Station,Apr 1984 ML20083P6051984-04-17017 April 1984 Informs of Error in Fourth Line of Second Paragraph of First Technical Comment, Statistics & Probability. Sense of Paragraph Stated as Either/Or Situation Recommended ML20080S7861984-02-27027 February 1984 Forwards Original Typescript of Revised Comments Dtd Feb 1984 to Be Appended Into Fes.Corrected Version Supersedes Jan 1984 Version ML20087E1011984-02-10010 February 1984 Notifies That Natl Ctr for Devices & Radiological Health Has No Comment Re Postulated Plant Accidents Described in Des (NUREG-0974) ML20080P2851984-02-0808 February 1984 Comments on Suppl 1 to Des for Facilities.Consequences of Severe Accidents on Schuykill River Not Clarified & Adverse Effects on Fish & Wildlife Not Considered ML20080B9751984-02-0303 February 1984 Forwards Technical Comments Based on Review of Suppl 1 to Des.Nrc Should Consider Risks Associated W/Range of Events Expected to Occur Offsite.Documents Rated as ER-2 ML20079Q3841984-01-27027 January 1984 Offers No Comments on Des ML20080A4761984-01-21021 January 1984 Forwards Responses to Doi 830826 water-related Comments on Des.Clarification on Listed Water Resource Issues Requested ML20083J2481984-01-0909 January 1984 Advises That Suppl 1 to Des Reviewed.No Substantive Comments Made ML20076G4571983-08-29029 August 1983 Forwards Comments on Des.Advance Notification of Planned Activities Disturbing Geodetic Control Survey Monument Requested ML20076G2911983-08-26026 August 1983 Comments on Des Re Water Reservoirs Water Quality & Environ Impact.Paragraph in Section 43.1.1.3 Should Be Revised to Reflect Severity of Low Flow Problems in Delaware River ML20077J6861983-08-15015 August 1983 Forwards Comments on Des for Plants.Document Acceptable & Rated ER-2 Meaning Environ Reservations Are Related to Insufficient Info.Comments Concerned Primarily W/Radiation & Cooling Water ML20077H5461983-08-0505 August 1983 Advises That Review of Des for Facilities Completed.No Comments Offered ML20077G1921983-07-29029 July 1983 Comments on Des (NUREG-0974) Dtd June 1983.Calculated Doses to Individuals & Populations Resulting from Effluent Releases Are within Radiation Protection Stds ML20077D3911983-07-22022 July 1983 Advises of Incorrect Interpretation in Des of Delaware River Basin Commission Water Quality Stds Re Mixing Zone for Discharge of Constituents Such as Residual Chlorine ML20076M3751983-07-15015 July 1983 Concurs W/Nrc Conclusions Re Des for Facility,Per NRC 830624 Request.No Detectable Effects to Delaware River from Facility Operation Expected ML20073L7501983-04-15015 April 1983 Comments on Evaluation of Soil & Rock Slopes at Plant Site, Per Interagency Agreement.No Offsite Slopes Identified Which Would Affect Safety of Seismic Category 1 Sys ML20079H4081982-12-0707 December 1982 Forwards Pages from Design of Water Intake Structures for Fish Protection, Re Velocity Difference Across Intake & Potential for Biofouling Even in Fresh Water ML20062K5771982-08-10010 August 1982 Forwards Motion on Behalf of Gm Hansler Re Application Filed by Del-Aware for 820817 Deposition.Absence of Gm Hansler Requires That Motion Be Denied or Deposition Be Rescheduled for 820830 ML20058E9421982-07-27027 July 1982 Advises of Intent to Participate in Des Review,In Response to 820614 Request.Related Departmental & Svc Correspondence Encl ML20054L3671982-06-30030 June 1982 Informs That No Threatened or Endangered Species Exist in Area of Site,Except for Occasional Transient Species.Natl Marine Fisheries Svc Should Be Contacted to Determine Need for Biological Assessment ML19347E8771981-04-21021 April 1981 Forwards Public Notices for Proposed Const of Water Diversion Structures Near Point Pleasant,Bucks County,Pa by Neshiminy Water Resources Authority ML19351G3831981-02-17017 February 1981 Advises of Desire to Participate in Project Scoping Meetings to Address Past Concerns & Provide Timely Resolution During EIS Preparation ML19338C4071980-08-11011 August 1980 Informs That Jf Devine 800725 Ltr Re Distances from Future Blasting & Class 1 Structures Should Have Substituted Word Max for Min ML19330B4871980-07-25025 July 1980 Forwards Response to NRC 790809,0918 & 1018 Ltrs Requesting Review of Matl Relevant to Determining Facility Response to Nearby Quarry Blasting.Blasting Will Not Cause Damage to Any Class 1 Structures ML19344F4811980-07-25025 July 1980 Forwards Borough of Phoenixville,Pa 800718 Ltr to President Carter,Transmitting Resolution 80-10 Opposing Const of Nuclear Reactors.Requests Response 1990-07-30
[Table view] |
Text
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50-352 f ot story 353 f AMk g
~5 UNITED STATES ENVIRONMENTAL PROTECTION AGENCY b REGION ill 6TH AND WALNUT STREETS PHILADELPHI A. PENNSYLVANI A 19106 C 3 5 1933 Dr. Rajender Auluck, P.E., Project Manager Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washington, D.C. 20555
Dear Dr. Auluck:
EPA has completed its review of the draft EIS for operation of the Limerick Generating Station, as required under Section 309 of the Clean Air Act. In general, the document is acceptable with certain exceptions enumerated in the attached technical comments. As a result of the review, the draft EIS is rated E R-2 , which means that the environmental reservations are related to insufficient information. The attached sheet describes the rating system used by EPA and is enclosed for your information.
In late 1980 and early 1981, the EPA EIS review staff met with the DRBC and PaDER several times to clarify environmental issues related to the Neshaminy Creek Watershed Plan and Wa' ter Supply Plan.
The issues discussed had been raised in a letter to DRBC, dated September 26, 1980, and supplemented in subsequent meetings. The issues included analysis of flows, population and water use projections, water conservation controls, and the relationship of the Philadelphia Electric Company needs (described in Docket No. 79-52-CP) as it relates to components of the NWRA watershed'and water supply plans.
These meetings resolved our technical concerns regarding the NWRA portion of the diversion proposal and resulted in our conclusion that the potential benefits to be derived from the diversion, as claimed in the various Dockets, far outweighed
-any potential adverse impacts. This is the position EPA-took in a letter dated February 17, 1981 to Governor Tribbet of Delaware, who was then the U.S. Commissioner of DRBC.
The majority of the following comments are concerned with radiation and cooling water with regard to its sources and receiving streams.
In some cases the radiation information is incompletely addressed while in other places it is present-ed in a way that is confusing to the reader. The major deficiencies regarding radiation are: a) treatment of EPA standards, b)'a lack of information on postulated accidents, and c) a lack of information on decommissioning.
cooA 0308180136 830815 -l I PDR ADOCK 05000352
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With regard to the cooling water discussions, the document i s inconsistent in its presentation of the water budget and the
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needs. Major deficiencies in the water area of concern ares a) cooling water budget inconsistencies, b) the range of cooling water needs for differing operating configurations, c) aquatic impacts of flow extremes in diversion and receiving streams that may occur over short time spans, and d) dilution for water quality improvement in the -lower portion of the East Branch Perkiomen Creek. These are the two major areas addressed in the comments and are followed by some air pollution concerns and other minor points.
We appreciate the opportunity to review the document and your staff's cooperation. If any points require further discussion or clarification, please contact Mr. Robert Davis of the EIS Review Team. He can be reached on 215-597-4388.
Thank you.
Sincerely, 7
Henry .
- 9. W&
Brubaker Chief, Analysis and Services Section Enclosure (s) w
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Technical Comments Radiation Concerns:
A most important concern is the treatment of the EPA standards for the uranium fuel cycle given in 40 CFR 190. These standards are fleetingly addressed on pages 5-38 and 5-48, 49.
The standards are incompletely. described and are addressed only by the vague statement that "under normal operations the Limerick fac:.lity is capable of operating within these standards." This statement does not state whether or not the plant actually will operate within the standards, and more importantly only a part of the standard is referenced by the DEIS. Attached is a' copy of 40 CFR 190 for your information.
In a careful study of the DEIS, we have found that information is supplied on pages 5-64 and D9-Dil which -may be compared to the EPA standard, but the information is not presented in an understandable format and there is some question as to whether the standard for release of' krypton-85 will be met. The EPA standards should-be directly and completely addressed in the EIS in tabular form so that projected releases may be directly compared to the standard. The standard is applicable only to normal operations.
In addition, there is a lack of information on postulated accidents and on the radwaste system. On pages 5-61 it is stated that NRC's review of the utility's probabilistic risk assessment has not yet been completed and "will be factored into the NRC staff's analysis . . . to fulfill the requirement of this section of the DES." The radwaste issues are to be addressed in Chapter 11 of the SER. Both of these issues are an integral part of the environmental impacts of the plant and should be considered as a part of the NEPA process. No final EIS should be issued before these issues are reviewed by EPA and supplemental comments provided to NRC.
As a final note on the radiological portion of this review, th e impacts of decommissioning are only briefly mentioned in passing. At least a general order of magnitude'of these impacts should be discussed, though specific numerical l estimates of the impacts are probably not yet available. l l
Hydrology and Cooling Water: I l
Information presented in the document regarding hydrology is in agreement with information available to the EPA technical staff. However, some serious questions have been raised over the cooling water sourccs and uses.
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Questions are raised concerning withdrawal-flows presented in Table 4.1 and Section 4.2.4. Page 4-10 indicates a maximum Of this, withdrawal rate of 95 MGD from the Delaware River. However, ,
a maximum of 46 MGD will be diverted to Limerick.
- Table 4.1 shows a maximum flow of 37 MGD from the Delaware /
Perkiomen. This apparent inconsistency should be explained.
Page 4-12 indicates a maximum withdrawal rate of 41.9 MGD from Perkiomen is expected. However, this does not match with the maximum flow of 46 MGD diverted to Limerick, as stated on page 4-10, nor does it match the flows in Table 4.1 for the Again the apparent inconsistency should be
~
! Perkiomen.
explained.
These inconsistencies may be serious, with implications reaching from operation of the Point Pleasant diversions all the way to the range of possible effects upon the final receiving stream. These could impact the Bradshaw reservoir, 4
the East Branch of the Perkiomen Creek, the Perkiomen Creek,
. the Schuylkill at the confluence with the Perkiomen, and downstream.
Section 4,2.4 should detail the current conditions of those streams to receive diversion water more thoroughly than is done. For. example, virtually nothing is included regarding the conditions of the riparian habitat or the flood plain, and in chapter 5 no mention is made of the effects under extreme conditions, e.g.,;high. flows of short duration. We agree that diverted water will result in negligible effects-most of the time and furthermore will probably have beneficial effects ecologically. However, extremes should be thoroughly explained.
In addition,1very little-is-mentioned regarding the effects of the environmental ramifications of flows 4-to 25 times normal'.
You have included information,that flows are below the highest
, flows and that they are well.within the erosion: limits, but disclosure'should go beyond merely the water quality conditions.
The answers'are probably-available and deserve' inclusion, if
- - only by reference. . -
In addition, no mention is made of the effects the' Pennsylvania Public. Utility Commission decision regarding unit two. If only one unit is ever operated, what are the implications ~for the a cooling water budget both from.the Point Pleasant diversion and
- the Schuylkill? .Since this possibility has been disregarded, we have no way of estimating any aquatic impacts that may result from differing operational configurations. . If'only one unit is ever brought on-line, alternative' sources of cooling water may be available. In this case, diversion of water into the East Branch of the Perkiome'n may be unnecessary.
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h o Part of the operational plans mentioned in the document are concerned with the use of releases from the yet to be constructed Merrill Creek facility. Admittedly, all the ramifications of this are unknown, but it seems apparent that releases from that facility will seldom be needed. However, if that facility is necessary for the successful operation of the LGS then what contingency has been planned in the event that the Merrill Creek facility is precluded? This as well as other impoundments appears to be crucial to future water quality in the Delaware.
Recent information indicates that DRBC is continuing to update the modeling of the Delaware, especially with regard to the salinity criteria. As we understand it, the latest salinity objective for the year 2000 is unachievable under current operational modes of existing and planned impoundments and diversions. Apparently a need exists to adjust the opertional configuration of these projects to achieve the salinity objective. Aside from the fact that DRBC has a plethora of alternatives to consider and quite a few years to develop and examine them, still the demands by Limerick are certainly a part of the Point Pleasant diversion and certain to be a concern in the deliberations over the salinity issue.
Therefore, the salinity issue and operation of the Limerick plant are related and the basin's overall water budget into the future may effect the operation of the Limerick plant.
Sections 5.3 or 5.3.2.3 should include discussions regarding salinity and the EIS should include information on the impacts expected from the various operational configurations, both for the LGS as well as for the dams and diversions.
An apparent inconsistency exists in statements under Section 4.3.2.1 (p. 4-3) and 5.3.2.2 (p. 5-3). In the first case it is stated that no changes in the overall scheme for water use has occured while on page 5-3 it is stated that several changes in the design have taken place. The reviewers assume that these changes have been made to accommodate water quality implica-tions, however, no'information is presented to tell why such changes were necessary and why such drastic efforts were needed for what appear to be incremental improvements. On the other
' hand, perhaps these design efforts'have been made for larger improvements than are expressed. If this is so, then the document should discuss design changes discarded and why.
m - -
Another inconsistency exists regarding benefits to accrue from the Point Pleasant diversion. In Docket No. D-65-76CP (8),
DRBC has eliminated dilution and augmentation as Point Pleasant diversion benefits for the Neshaminy, but the draft EIS claims such benefits for the East Branch Perkiomen. This appears to be inconsistent because it is a claim of convenience in spite of the fact that apparently dilution is the easiest means for improving the lower portion of the East Branch.
I j In Section 5.3.2.3, operation of the diversion and its environmental effects are discussed. It is understood that once the diversion of water to Limerick is begun'the flows will be maintained so that extremes in fluctuation of water levels in the streams used for diversion will be avoided. However, no mention is made of how the diversion will be operated so that i flash floods resulting from short duration /high intensity storms will not be exacerbated. There may be no cause for concern here, but some attention should be paid to the possibility, especially in light of the lack of riparian
- habitat along the streams of the area. In other words, much of the flood plain in the area has been changed so that it is now dedicated to agriculture or to activities other than flood way.
Air Concerns:
Under air impacts on page 5-24, the emissions are estimated to be "less than EPA de minimus levels" for certain pollutants.
These de minimus levels are probably those used for PSD purposes. No information'is given on the actual off-site ambient concentrations that will result. While the low emissions will most likely result in very small impacts, this does not justify the complete lack of any numerical data to backup this assertion. At a minimum, annual and maximum 24-hour emissions should be given. A simple model could then be run to estimate off-site concentrations. If these are truly-l as small, this will reinforce the conclusion that the impacts i
are too small to be significant.
Finally, on page 5-15, first paragraph, the last sentence states that " Actions to mitigate these potential impacts (from cooling tower chlorination) should be considered . . .". This statment constitutes a recommendation to the utility and is out of place in an EIS. It would be more appropriate to discuss
! what will be done, what are the alternatives and what mitigative actions will be implemented.
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- l Other Concerns
The following are some minor points and are offered for your consideration and'information.
- 1) On page 4-37 mention is made of the possibility of the
.pr.esence of eels in the Delaware. This is very likely, especially in light of the fact that a small eel fishery exists in the port Jervis area, far upstream of the diversion intake.
- 2) The document contains some very assured statements regarding.the ultimate improvement in quality of the streams receiving diversion water. However, monitoring in conjunction with operation of the diversion should be carried out for all
- parameters contained in the draft EIS as well as for the fish community. A good start has been made, as described in Section 4, of the trophic levels in all the streams. This should be expanded and continued as the diversion is completed and placed into operation.
3 ), Section 5.3.2.3 describes the nonthermal water quality anticipated for the Bradshaw facility and the Delaware. A statement is made that the reservoir will act as both a sediment controlling facility as well as a phosphorous sink.
However, no mention is made regarding the nonsettleable fraction which will pass through the reservoir and may negate any phosphorous control claimed as a benefit of the reservoir.
Perhaps some reassessments are in order if the modelling for
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receiving stream water quality has not included this source of phosphorous. In addition, we failed to see any statements covering retention time in the Bradshaw facility. Information from other sources indicates that sediment control is not achieved with flows greater than 10% of total capacity flow through per day. However, this is an optimum figure that is adjusted on a cace-by-case basis. In any' event, the claims made by the NRC for sediment control using the Bradshaw facility should be substantiated statistically in the final EIS.
- 4) The next-to-last' paragraph on page 5-25 states that
"... induced shock will adversely affect biota along the-Limerick Transmission corridor." Perhaps this is a typographical error because the remainder of the paragraph describen just the opposite. However, i f this is not an error, then this section needs to be rewritten.
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e
N 190.01 Title 40-Proteciion of EnO wn' Chapter .--Environmental Prstaction Agsney , c.
SUBCHAPTER F-RADIATION PROTECTION PROGRAMS ered a rnember of the ubite - -
any period in which he fs engage 1n (,
l PART 190-ENVIRONMENTAL RADI. uranium special nuc! car and by prod. carrymg out any operation which is be v Driance. and the schedu fo'r .
ATION PROTECTION STANDARDS uct materials from the cycle. part of a nuclear fuel cycle- r nee with the stand- 1 (1) Regulatory agency" means the ad FOR NUCLEAR POWER OPER- the(c) " General environment" means ATIONS total terrestrial. atmospheric and government agency responsibic for is- 9 190.12 Effecti" aquatic environments outside sit es suing regulations governing the use of
- Subport A-General Provisions upon which any operation which is sources of radiation or radioactive ma-part of a nuclear fuel cycle is (a) The standards in i 190.10(a) shall terials or emissions therefrom and car- be effective December 1.1979 eXce t Sec. conducted. rymg out inspection and enforcement that for doses arising from o 190.01 Applicabuity. (d) " Site" means the area contained activities to assure compliance with associated with the milli f 190 02 Dctimttons- within the boundary of a location such regulations.
under the wntrol of persons possess- ore the effective date sha l be "#C * '
ber 1,1980.
Subpart B-Environmental stonderds for the ing or using radioactive material on Uranium Fuel Cycle Subpart B-Environmental Standards which is conducted one or more oper- (b) The standards in i 19010(b) shall ations covered by this part, for the Uramum Fuel Cycle be effective December 1 1979' 190.10 Standards for normat operations.
190.11 Variances for unusual operations. (e) " Radiation" means any or all of that the standards for k' - "
a 190.10 Standards for normal "P""'."'"'- iodine.129 shall b #f 190.12 Ef fect n e date. the following Alpha. beta, gamma, or 1983 f r any s #"""" U 3+
Aornonny: Atomic Energy Act of 1954. as X rays: neutrons; and high energy s erations c e ed by this subpart als b h radioactive materi-amended; Itcorganization Plan No. 3. of electrons. protons, or other atomic U U h anner "
- assurance after these datN particles; but not sound or radi as to provide .
n 1970. that, "
waves, nor tisible, infrared. or ultra-Sousec 42 rn 2860. Jan.13,1977 unless
- violet light. ( ) The annual dose equivalent does PART 192-ENVIRONMENTAL
- PRO (f) " Radioactive material" means ho ". 75CHHrems ed 25 millirems to the any material which spontaneously to the thyroid, and whole TECTION STANDARDS FOR URANI~
Subpart A-General Prov. .isions 25 millirems to any other organ of any UM MILL TAILINGS emits radiation.
(g)" Curie"(Cl) means that quantity member of the public as the result of subpart A_[R'" -
9 190.01 Applicability. of radioactive material producing 37 hp sures to planned discharges of ra-The provisions of this part apply to billion nuclear transformations per n n ts SuW Mogn*'n'al stonderds for daug t rs exc t radiation doses received by members second. (One millicurie (mCl)=0.001 E UeTal en- ' "UP I O Pen Lands and Buildings Con.
of the public in the general environ- Ci.) vironment fro U 'niu u I cycle op- tominated w;th Residual Radioactive Materi.
ment and to radioactive materials in- erations and n (h) " Dose equivalent" means the operations' m these "h honi InocHve Uranium proces,;as Sites t:oduced into the general environment product of absorbed dose and appro- (b) Tl S' i as the result of operations which are priate factors to account for differ-materials qu ntity of radioactive 192 to Applicabili part of a nuclear fuel cycle. ences in biological effectiveness due to U CUVI- '
the quality of radiation and its spatial ronment from tl en re uranium fuel 192.11 Definiti cycl 192 12 O 190.02 Definitions. distribution in the body. The unit of M ghahatof electrical ene 192'13 **
(a) " Nuclear fuel cycle" means the dose equivalent is the " rem."(One mil- contains I fe! cycle.
operations defined to be associated lirem (mrem)= 0.001 rem.) krypton-85 udes of with the production of electrical (i) " Organ" means any human organ mi! ur es of iodine-129 subPo e C-racePt ons s and 0'5 11 ries combined of pluto.
power for public use by any fuel cycle exclusive of the dermis. the epidermis. nium-239 nd 192.20 Criteria for exceptions.
through utilization of nuclear energy. or the cornea- UK (b) " Uranium fuel cycle" means the (j) " Gigawatt year" refers to the transuranic radi s halp chumm" nces, 8ct4ns fr exception al operations of milling of uranium ore, quantity of electrical energy produced lives greater than one year. Table A [Iteseradl
, chemical conversion of uranium. Isoto- at the busbar of a generating station. I 190.11 '
pic enrichment of uranium, fabrica- A gigawatt is equal to one billion Variances for unusuaI operations. -
The stand r AUTHonrry: Sec. 275. At " ^
tion of uranium fuel, generation of watts. A gigawatt-year is equivalent to may h pecified in i 100.10 electricity by a light water cooled nu- the amount of energy output repre- of 1954. (42 U.S.C. 2022) a$N' end d t (a) Th Uranium Mill Tallings Radiation Contre!
clear power plant using uranium fuel. sented by an average electric power ed a varl gency has grant- Art of 1978. Pub. L. 95 604.
and reprocessing of spent uranium level of one gigawatt sustained for one based upon its determi-fuel, to the extent that these directly year.
riation tha a SovRet 45 rn 27367*A '""
operatin and unusual otherwise notd' support the production of electrical (k) " Member of the public" means ucd operat ndiMon exists and contin-power for public use utilizing nuclear any individual that can receive a radi- and n is in the public interest,
- energy, but excludes mining oper- ation dose in the general environment.
allons, operations at waste disposal whether he may or may not also be ex-(b) Inf n is Momptly made a sites. transportation of any radioactive posed to radiation in an occupation as- rnatter of public record delineating the material in support of these oper- sociated with a nuclear fuel cycle.
nature or ations, and the reuse of recovered non- IIowever, an individual is not consid-tions 11'" dcgusual operating condi- '
ation'33 expected to result in levels into which this oper-G
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. s CilAFTER 3 9 FREPAT.ATION, A' PROVAL AND REVIDJ OF FGERAL -- DISTRIEUTION OF Co mi.rTS ACTIONS IMPACTING ON FEDERAL ACTIONS DIE C;VIRCNN En"ironmental Impact of the Action LO--Lack of Objections
,t shypyi EPA has no objections to the proposed action as described in the draft impact statement or suggests only minor
' changes in the proposed action. ~
- j> v ,f ER--Environmental Reservations .
1 W, 7R9elp EPA has reservations concerning the environmental ef fects
~ of certain aspects of the proposed action. EPA believes-
., that f urther study of suggested alternatives or modifica -
'. tions is required and has asked the originating Federal
,yf.{4 agency to reassess these aspects.
- EU--Environmentally Unsatisfactory C
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EPA believes that the proposed action is unsatisfactorr because of its potentially harmful effect on the environ--
mont. Furthermore, the Agency believes that the potential
- safeguards which might be utilized may not adequately pro-tect the environment from hazards arising from this action. The Agency recommends that alternatives to the- -
action be analyzed further (including the possibility of no action at all) .
Adecuacy of the Impact Statement Category 1--Adequate-i 1
The draf t impact statement adequately sets forth the environmental impact of the proposed project or action as well as alte: natives reasonably available to the project
- Category 2--Insufficient information .
EPA believes that the draf t irpact statement does not.
contain sufficient information to assess fully the
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environmental impact of the proposed project or action.
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However, from the information submitted, the Agency is-
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able to make a preliminary determination of the impact
- ' d on the environment. EPA has requested that the originator .!
provide the information that was not included in the-draft statement.
Category 3--Inadequate-EPA believes that the draft. impact statement does not
.,' adequately assess the environmental impact of the pro-posed project or action, or that the statement inadequately-analyzes reasonably available alternatives. The Agency has -
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requested more information and analysis concerning the O potential environmental hazards and has asked that sub-
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f". stantial revision be made to the draft statement.
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- If a draft imoact statement is assigned a Category 3, Sgrdinarily no rating will be made of the project or action, since a basis does not generally exist on which to maka-
' ' such a determination.
o I CHAP 3 Figure J-1. tiotiticTtion or 1:PA's Classitication {h*3
- of Comments Page 2'of 2 ,
f .
,