ML22033A147

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Submittal of Decommissioning Plan and Post-Shutdown Decommissioning Activities Report, and License Termination Plan Changes
ML22033A147
Person / Time
Site: La Crosse  File:Dairyland Power Cooperative icon.png
Issue date: 01/26/2022
From: Van Noordennen G
LaCrosseSolutions
To:
Document Control Desk, Office of Nuclear Material Safety and Safeguards
Shared Package
ML22033A165 List:
References
LS-2022-0002
Download: ML22033A147 (4)


Text

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LACROSSESOLUTIONS 10 CFR 50.4 10 CFR 50.71 10 CFR2.390 January 26, 2022 LS-2022-0002 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 La Crosse Boiling Water Reactor Facility Operating License No. DPR-45 NRC Docket Nos. 50-409 and 72-046

Subject:

La Crosse Boiling Water Reactor Submittal of Decommissioning Plan and Post-Shutdown Decommissioning Activities Report, and License Termination Plan Changes

References:

I) LaCrosseSolutions, LLC letter, La Crosse Boiling Water Reactor (LACBWR)

Submittal of Decommissioning Plan and Post-Shutdown Decommissioning Activities Report Changes," dated June 12, 2020

2) NRC Regulatory Issue Summary 2015-17, "Review and Submission of Updates to Final Safety Analysis Reports, Emergency Preparedness Documents, and Fire Protection Documents"
3) Gerard van Noorde1men,. LaCrosseSolutions, Letter to U.S. Nuclear Regulatory Commission, "License Amendment Request for the License Termination Plan," dated June 27, 2016
4) Gerard van Noordennen, LaCrosseSolutions, Letter to U.S. Nuclear Regulatory Commission, <<License Termination Plan Revision l," dated May 3 J, 2018
5) Marlayna Vaaler, U.S. Nuclear Regulatory Commission, Letter to John Saug~r, EnergySolutions, "La Crosse Boiling Water Reactor-Issuance of License Amendment No. 75 to Approve the LaCrosseSolutions, LLC License Termination Plan," dated May 21, 2019 The La Crosse Boiling Water Reactor (LACBWR) Decommissioning Plan and Post Shutdown Decommissioning Activities Repo1t (D-Pla_n/PSDAR) is recognized as the LACBWR Safety Analysis Report (SAR) equivalent as it contains the plant post-fuel accid~nt analysis. Therefore, the D-Plan/PSDAR is subject to revisions being submitted to the NRC on a 24-month interval in accordance with IO CFR 50.7l(e)(4).

In accordance with the requirements of l O CFR 50.4, "Written Communications," paragraph (b)(6), LaCrosseSolutions, LLC (LS) is submitting the January 2022 revision of the D-Plan/PSDAR for LACBWR. In accordance with 10 CFR 50.71(e)(4), the update is being submitted within 24 months of the previous revision which was submitted in Reference I.

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LaCrosseSolutions, LLC LS-2022-0002 Page2 of4 This D_;Plan/PSDAR update is being provided electronically on a total replacement basis, satisfying the submittal requirements of IO CFR 50.4(b)(6), as discussed in Reference 2.

The changes to the D-Plan/PSDAR reflect completion of decommissioning activities including final status surveys. The January 2022 D-Plan/PSDAR revision includes changes made from June 2020 through January 2022.

Section 3 of the D-Plan/PSDAR contains the proprietary financial infmmation LS is providing to the NRC and seeks to have withheld from public disclosure in its entirety. Therefore, this submittal contains a LS Proprietary Financial Information Affidavit pursuant to 10 CFR 2.390.

The Affidavit sets forth the basis for which the information may be withheld from public disclosure by the Commission and aqdresses with specificity the considerations listed in 10 CFR 2.390(b)(4).

The enc1osed CD contains the public version of the January 2022 update of the D-Plan/PSDAR and the non-public version of Section 3 of the D-Plan/ PSDAR. It also contains a matrix which lists changes incorporated in this revision of the D-Plan/PSDAR.

The LACBWR License Termination Plan (L TP) was submitted to the U.S. Nuclear Regulatory Commission (NRC) for review on June 27, 2016, as documented in Reference 3. Revision 1 of the L TP was submitted to the NRC on May 3 I, 2018, as documented in Reference 4. The NRC approved Revision 1 of the L TP as documented in Reference 5.

The L TP is a supplement to the D-Plan/PSDAR. The LTP has been revised to incorporate changes resulting from decommissioning activities. In accordance with IO CFR 50.4 and 10 CFR 50.71, LS hereby submits Revisions 2 and 3 of the LTP. Revision 3 replaces Revision 2 in its entirety.

Chapter 7 of the L TP contains financial information. LS considers this proprietaiy financial information to be confidential and requests the NRC withhold it from public disclosure under l O CFR 2.390. Therefore, the LS Proprietary Financial Information Affidavit pursuant to 10 CFR 2.390 in this submittal is also applicable to the L TP.

The enclosed CD contains the public versions of all chapters of Revisions 2 and 3 of the LTP and proprietruy version of Chapter 7 of Revision 3 (pdf copies). Microsoft Word' versions of all chapters in Revision 3 of the LTP, with the "track change" option enabled, are provided to assist in identifying the changes. In addition, the enclosure contains a matrix which lists changes incorporated into Revisions 2 and 3 of the LTP.

As Senior Vice President of Regulatory Affairs, [ certify that the information provided in this submittal accurately presents changes made to the D-Plan/PSDAR and the L TP since they were previously submitted.

There are no regulatory commitments made in this submittal. If you should have any questions regarding this submittal, please contact me at (860) 462-9707.

LaCrosseSolutions, LLC LS-2022-0002 Page 3 of 4 Respectfµlly, G~~~

Gerard van Noordennen Senior Vice President Regulatory Affairs

Enclosure:

CD containing the following files

1. LACBWR D-Plan/PSDAR, January 2022, Public
2. Section 3, LACBWR D-Plan/PSDAR, January 2022, Non-Public
3. D-Plan/PSDAR Change Matrix
4. License Termination Plan, Revisions 2 and 3, Public
5. Chapter 7, LACBWR LTP, Revision 3, Non-Public
6. L TP Cbgmge Matrix cc:

Kimberly Conway, U.S. NRC Senior Project Manager (letter and enclosure)

Regional Administrator, U.S. NRC, Region III (letter and enclosure)

La Crosse Boiling Water Reactor S-ervice List (letter only)

LaCrosseSolutions, LLC LS.:2022-0002 Page 4 of 4 LaCrosseSolutions, LLC PROPRIETARY FINANCIAL INFORMATION AFFIDAVIT Affidavit of Gerard van Noordennen, Senior Vice President Regulato1y Affairs, LaCrosseSolutions, LLC.

The proprietary versions ofSection 3 of the D-Plan!PSDAR and LTP Chapter 7, containedin the Enclosure to this submittal, consist of proprietary financial information that LaCrosseSolutions, LLC considers confidential. Release of this information would cause irreparable harm to the competitive position of L~CrosseSolutions, LLC. The basis for this declaration is:

i.

This information is owned and maintained as proprietary by LaCrosseSolutions, LLC, ii.

This information is routii1ely held in confidence by LaCrosseSolutions, LLC and not disclosed to the public, iii.

This information is being requested to be held in confidence by the NRC by this

petition, iv.

This information is not available in public sources,

v.

This inf01mation would cause substantial harm to LaCrosseSolutions, LLC ifit were released publicly, and vi.

The information to be withheld is being transmitted to the NRC in confidence.

I~ Gerard van Noordennen, being duly sworn, state that I am the person who subscribes my name the foregoing stateni.ent, I am authorized to execute the Affidavit on behalf of LaCrosseSolutions, LLC, and that the matters and facts set forth in the statement are true to the best of my knowledge, information, and belief.

Name:

Title:

Company:

Gerard van Noordennen Senior Vice President Regulatory Affairs LaCrosseSolutions, LLC SUBSCRIBED AND SWORN TO BEFORE ME THIS Ab'H1nAY of~, 2022

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