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| issue date = 05/12/2015
| issue date = 05/12/2015
| title = Comment (6) of Kenneth A. Westlake on Behalf of Us EPA on Draft Plant-Specific Supplement 55 to the Generic Environmental Impact Statement for License Renewal of Nuclear Plants Regarding Braidwood, Units 1 & 2
| title = Comment (6) of Kenneth A. Westlake on Behalf of Us EPA on Draft Plant-Specific Supplement 55 to the Generic Environmental Impact Statement for License Renewal of Nuclear Plants Regarding Braidwood, Units 1 & 2
| author name = Westlake K A
| author name = Westlake K
| author affiliation = US Environmental Protection Agency (EPA)
| author affiliation = US Environmental Protection Agency (EPA)
| addressee name = Bladey C K
| addressee name = Bladey C
| addressee affiliation = NRC/ADM/DAS/RADB
| addressee affiliation = NRC/ADM/DAS/RADB
| docket = 05000456, 05000457
| docket = 05000456, 05000457
Line 14: Line 14:
| page count = 8
| page count = 8
| project =  
| project =  
| stage = Draft RAI
| stage = Draft Supplement
}}
}}


=Text=
=Text=
{{#Wiki_filter:-/ ---
{{#Wiki_filter:*,*.z .**,*.UNITfED    STrATES     L.VONMENTAL
STrATES L.VONMENTAL POE~Oq C ':MAY 1 2 Z015 71315A~ 2E-1 9JCindy BladeyChief, Rules, Announcements, and Directives BranchDivision of Administrative Services  
                                                -
~,~gc'Office of Administration Mail Stop: 16 3WFN-06-A44.MP U.S. Nuclear Regulatory Commission Washington, DC 20555-000 1Re: Draft Plant-Specific Supplement 55 to the Generic Environmental ImpactStatement for License Renewal of Nuclear Plants Regarding Braidwood Station,Units 1 and 2, Braidwood, Wil County, Illinois  
POE~Oq           C     ': / ---
-CEQ #20150078
MAY 1 2 Z015           71315A~ 2 E-1 9J Cindy Bladey Chief, Rules, Announcements, and Directives Branch Division of Administrative Services                           ~,~gc' Office of Administration Mail Stop: 16 3WFN-06-A44.MP U.S. Nuclear Regulatory Commission Washington, DC 20555-000 1 Re:     Draft Plant-Specific Supplement 55 to the Generic Environmental Impact Statement for License Renewal of Nuclear Plants Regarding Braidwood Station, Units 1 and 2, Braidwood, Wil County, Illinois - CEQ #20150078


==Dear Ms. Bladey:==
==Dear Ms. Bladey:==
The U.S. Environmental Protection Agency has reviewed the Draft Supplemental Environmental Impact Statement (EIS) for the above-mentioned project prepared by the Nuclear Regulatory Commission (NRC). Our comments are provided pursuant to the National Environmental PolicyAct (NEPA), the Council on Environmental Quality's NEPA Implementing Regulations (40 CFR1500-1508),
 
and Section 309 of the 'Clean Air Act.Braidwood is a two-unit  
The U.S. Environmental Protection Agency has reviewed the Draft Supplemental Environmental Impact Statement (EIS) for the above-mentioned project prepared by the Nuclear Regulatory Commission (NRC). Our comments are provided pursuant to the National Environmental Policy Act (NEPA), the Council on Environmental Quality's NEPA Implementing Regulations (40 CFR 1500-1508), and Section 309 of the 'Clean Air Act.
: nuclear, pressurized-water reactor located in Will County, Illinois.
Braidwood is a two-unit nuclear, pressurized-water reactor located in Will County, Illinois.
Commercial operation began in 1988. Braidwood is owned and operated by Exelon Generation
Ciddy began in 1988. Braidwood is owned and Rlde Commercial operation                                            operated   by Exelon Generation -
: Company, LLC (the applicant).
Oetl---/(/tgb Company, LLC (the applicant). The existing licenses will expire on October 17, 2026 and December 18, 2027, respectively. The applicant applied to NRC for an extension to its operating license, extending operation for an additional 20-year period. Based on information provided by the applicant, NRC's preferred alternative is to grant the 20-year extension.
The existing licenses will expire on October 17, 2026 andDecember 18, 2027, respectively.
The NRC developed a Generic EIS to streamline the license renewal process based on the premise that environmental impacts of most nuclear power plant license renewals are similar.
The applicant applied to NRC for an extension to its operating
NRC develops facility-specific Supplemental EIS documents as the facilities apply for license renewal. U.S. EPA acknowledges that mitigation measures that are un-related to nuclear safety and security cannot be included in the NRC license. This includes, but is not limited to, diesel emissions reduction measures. However, because we find these measures to be value-added, we continue to recommend them to the applicant for any construction activities and include them in our comment letters. We encourage the applicant to incorporate mitigation measures into the project, wherever possible.
: license, extending operation for an additional 20-year period. Based on information provided bythe applicant, NRC's preferred alternative is to grant the 20-year extension.
Based on our review of the Draft Supplemental EIS, U.S. EPA assigns a rating of Environmental Concerns - Adequate Information, EC-1. This is based, in part, on potential SUNSI Review Complete Template(= ADM -013 E-RIDSE ADM-03 K
The NRC developed a Generic EIS to streamline the license renewal process based on thepremise that environmental impacts of most nuclear power plant license renewals are similar.NRC develops facility-specific Supplemental EIS documents as the facilities apply for licenserenewal.
 
U.S. EPA acknowledges that mitigation measures that are un-related to nuclear safetyand security cannot be included in the NRC license.
'U impacts to threatened and endangered species, surface water runoff, climate change, and air quality related to refurbishment activities. Our summary of ratings definitions is enclosed.
This includes, but is not limited to, dieselemissions reduction measures.  
U.S. EPA commends NRC on the enhanced quality of the document, particularly with the use of color diagrams and maps, where color gradients are used. We also commend NRC on improved communication between our agencies; outreach to us was proactive and timely. U.S. EPA appreciates advanced notice of upcoming projects and meetings.
: However, because we find these measures to be value-added, wecontinue to recommend them to the applicant for any construction activities and include them inour comment letters.
Thank you for the opportunity to comment on this document. If you have any questions or wish to discuss any aspect of this document, please contact Elizabeth Poole of my staff at 312-353-2087 or poole.elizabeth@epa.gov.
We encourage the applicant to incorporate mitigation measures into theproject, wherever possible.
Sincerely, Kenneth A. Westlake Chief, NEPA Implementation Section Office of Enfpr'cement and Compliance Assurance Enclosures/(2):         Detailed Comments Summary of Ratings Cc:                     Nathan Grider, Illinois Department of Natural Resources Shawn Cirton, U.S. Fish and Wildlife Service Tam Tran, U.S. Nuclear Regulatory Commission Alan Keller, Illinois Environmental Protection Agency 2
Based on our review of the Draft Supplemental EIS, U.S. EPA assigns a rating ofEnvironmental Concerns  
 
-Adequate Information, EC-1. This is based, in part, on potential SUNSI Review CompleteTemplate(=
U.S. EPA Detailed Comments on Braidwood Units 1 and 2 License Renewal Draft Supplemental Environmental Impact Statement May 2015 Threatened and Endangered Species Federally-Listed Species The Northern Long-Eared Bat (Myotis septentrionalis)(NLEB) was Federally-listed as a.
ADM -013E-RIDSE ADM-03Ciddy Rlde Oetl---/(/tgb
threatened species in April 2015. USFWS reports that surveys in Shawnee National Forest in Illinois, about 300 miles south of Braidwood, consistently catch NLEBs, and USFWS states they may be found on the Braidwood site. USFWS has also indicated that winter hibernacula are not located on the Braidwood site; however, when NLEBs forage at night and roost during daylight in small numbers in live and dead trees, they change roosts often. The Draft Supplemental EIS indicates "This site would probably not provide prime habitat for long-ear bats even though they are more opportunistic than Indiana bats in roost selection."
-K
Recommendation: U.S. EPA recommends NRC consult with USFWS to determine the following: 1) what type(s) of non-winter habitat NLEBs use, 2) if such habitat exists at the Braidwood site, what protocol should be used and what time of year is best to survey for NLEBs, and 3) if NLEBs are captured at the Braidwood site, what effect license renewal will have on NLEBs. U.S. EPA recommends consultation with USFWS under Section 7 of the Endangered Species Act regarding the NLEB occur before the Final Supplemental EIS is published. If USFWS concurs that license renewal would have no effect on the NLEB, USFWS may propose technical assistance to the applicants to ensure any NLEB habitat located on the Braidwood site remains viable for the NLEB. If technical assistance is provided, we strongly recommend the applicant commit to including the provisions of the technical assistance in its management plans. All correspondence regarding consultation and coordination with USFWS should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included the Final Supplemental EIS.
'Uimpacts to threatened and endangered  
As stated in the Draft Supplemental EIS, sheepnose mussels (Plethobasuscyphyus) are susceptible to direct and indirect effects (through host fish species) of Braidwood's effluent, due to temperature and current alterations and to chemical contaminants. USFWS' 2013 letter to NRC notes the possible presence of the Federally-listed sheepnose mussel and requested NRC pay particular attention "to potential impacts from water quality (including temperature) and water quantity that may result from proposed operations" on those species. Mussel surveys were conducted near Braidwood in 2008 and 2009. The most recent survey was conducted in 2012 and sampled 20 sites in the Kankakee River. Sheepnose were found at two sites in the Kankakee River. However, it is not clear from reviewing the Draft Supplemental EIS where the sheepnose were found in relation to the project area.
: species, surface water runoff, climate change, and airquality related to refurbishment activities.
Recommendation: The mussel surveys conducted in the project area are several years old. U.S. EPA recommends NRC consult with USFWS to determine if these surveys are still valid or whether additional mussel surveys are needed before a license renewal decision is made. All correspondence regarding consultation and coordination with U.S.
Our summary of ratings definitions is enclosed.
F.WS should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included in the body of the Final Supplemental EIS.
U.S. EPA commends NRC on the enhanced quality of the document, particularly with the use ofcolor diagrams and maps, where color gradients are used. We also commend NRC on improvedcommunication between our agencies; outreach to us was proactive and timely. U.S. EPAappreciates advanced notice of upcoming projects and meetings.
1
Thank you for the opportunity to comment on this document.
 
If you have any questions or wishto discuss any aspect of this document, please contact Elizabeth Poole of my staff at 312-353-2087 or poole.elizabeth@epa.gov.
State-Listed Species As stated in the Draft Supplemental EIS, the Illinois Department of Natural Resources (IDNR) lists 14 State-endangered or threatened species (9 fish, 5 mussels) in Will County, and available aquatic surveys (ESI 2009; HDR 2008, 2014; IDNR 1998; Price et al. 2012) indicate that 10 of these species (5 fish, 5 mussels) occur within the Kankakee River and its tributaries. In December 2009, the IDNR (2009) issued an incidental take permit to the applicant for State-listed species (western sand darter, pallid shiner, river redhorse, purple wartyback, spike, black sandshell, and sheepnose) that had the potential to be affected by the replacement of the discharge channel. The incidental take permit prohibited construction activities from occurring during the spring spawning season and required relocation of state-listed freshwater mussels prior to the commencement of construction. In July 2010, Ecological Specialists collected and relocated 911 live mussels within the area that had the potential to be impacted by construction.
Sincerely, Kenneth A. WestlakeChief, NEPA Implementation SectionOffice of Enfpr'cement and Compliance Assurance Enclosures/(2):
Relocated mussels included 16. State-listed mussels (8 purple wartyback and 8 black sandshell).
Detailed CommentsSummary of RatingsCc: Nathan Grider, Illinois Department of Natural Resources Shawn Cirton, U.S. Fish and Wildlife ServiceTam Tran, U.S. Nuclear Regulatory Commission Alan Keller, Illinois Environmental Protection Agency2 U.S. EPA Detailed Comments on Braidwood Units 1 and 2 License Renewal DraftSupplemental Environmental Impact Statement May 2015Threatened and Endangered SpeciesFederally-Listed SpeciesThe Northern Long-Eared Bat (Myotis septentrionalis)  
The 2009 incidental take permit also requires the applicant to complete a follow-up survey of fish and mussels near the construction area 5 years after completion of construction. The Draft Supplemental EIS indicates this survey will be undertaken in 2016.
(NLEB) was Federally-listed as a.threatened species in April 2015. USFWS reports that surveys in Shawnee National Forest inIllinois, about 300 miles south of Braidwood, consistently catch NLEBs, and USFWS states theymay be found on the Braidwood site. USFWS has also indicated that winter hibernacula are notlocated on the Braidwood site; however, when NLEBs forage at night and roost during daylightin small numbers in live and dead trees, they change roosts often. The Draft Supplemental EISindicates "This site would probably not provide prime habitat for long-ear bats even though theyare more opportunistic than Indiana bats in roost selection."
Recommendation: U.S. EPA recommends NRC conduct the follow-up survey of fish and mussels in the project area and consult with IDNR before a license renewal decision is made. All correspondence regarding consultation and coordination with IDNR should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included in the body of the Final Supplemental EIS.
Recommendation:
Bald Eagles A stated in Section 3.6.3.3, Important Species and Habitat, "The bald eagle, which is Federally-protected under the Bald and Golden Eagle Protection Act (BGEPA) and the Migratory Bird Treaty Act (MBTA), has nested on one of the cooling pond islands in the past. The BGEPA and MBTA provide certain protections to bald and golden (Aquila chrysaetos) eagles and migratory birds, respectively. USFWS Chicago Ecological Services Field Office provided technical assistance to the applicant to ensure that eagles were protected and the applicant appropriately complied with the BGEPA. In its Environmental Report, the applicant indicated that bald eagles have not nested on the cooling pond in recent years." The Draft Supplemental EIS is not clear regarding the time period during which bald eagles have been nesting on the islands in the cooling ponds.
U.S. EPA recommends NRC consult with USFWS to determine thefollowing:
Recommendation: U.S. EPA recommends the Final Supplemental EIS indicate if bald eagles had been observed nesting during the 2014 nesting season and whether it appears that a nest(s) on the cooling pond islands are or will be occupied during the 2015 nesting season, which can begin in January or February'. If bald eagles are observed nesting on cooling ponds islands during the 2015 nesting season, we recommend a discussion be added to the EIS concerning the applicant's plans to adhere to USFWS' 2007 National Bald Eagle Management Guidelines and details of any technical assistance provided by the USFWS. Lastly, passing any information about bald eagle sightings to USFWS helps the agency maintain its sightings database.
: 1) what type(s) of non-winter habitat NLEBs use, 2) if such habitat exists atthe Braidwood site, what protocol should be used and what time of year is best to surveyfor NLEBs, and 3) if NLEBs are captured at the Braidwood site, what effect licenserenewal will have on NLEBs. U.S. EPA recommends consultation with USFWS underSection 7 of the Endangered Species Act regarding the NLEB occur before the FinalSupplemental EIS is published.
If USFWS concurs that license renewal would have noeffect on the NLEB, USFWS may propose technical assistance to the applicants to ensureany NLEB habitat located on the Braidwood site remains viable for the NLEB. Iftechnical assistance is provided, we strongly recommend the applicant commit toincluding the provisions of the technical assistance in its management plans. Allcorrespondence regarding consultation and coordination with USFWS should be includedas an appendix to the Final Supplemental EIS and the results of that consultation shouldbe included the Final Supplemental EIS.As stated in the Draft Supplemental EIS, sheepnose mussels (Plethobasus cyphyus) aresusceptible to direct and indirect effects (through host fish species) of Braidwood's  
: effluent, dueto temperature and current alterations and to chemical contaminants.
USFWS' 2013 letter toNRC notes the possible presence of the Federally-listed sheepnose mussel and requested NRCpay particular attention "to potential impacts from water quality (including temperature) andwater quantity that may result from proposed operations" on those species.
Mussel surveys wereconducted near Braidwood in 2008 and 2009. The most recent survey was conducted in 2012and sampled 20 sites in the Kankakee River. Sheepnose were found at two sites in the KankakeeRiver. However, it is not clear from reviewing the Draft Supplemental EIS where the sheepnose were found in relation to the project area.Recommendation:
The mussel surveys conducted in the project area are several yearsold. U.S. EPA recommends NRC consult with USFWS to determine if these surveys arestill valid or whether additional mussel surveys are needed before a license renewaldecision is made. All correspondence regarding consultation and coordination with U.S.F.WS should be included as an appendix to the Final Supplemental EIS and the results ofthat consultation should be included in the body of the Final Supplemental EIS.1 State-Listed SpeciesAs stated in the Draft Supplemental EIS, the Illinois Department of Natural Resources (IDNR)lists 14 State-endangered or threatened species (9 fish, 5 mussels) in Will County, and available aquatic surveys (ESI 2009; HDR 2008, 2014; IDNR 1998; Price et al. 2012) indicate that 10 ofthese species (5 fish, 5 mussels) occur within the Kankakee River and its tributaries.
InDecember 2009, the IDNR (2009) issued an incidental take permit to the applicant for State-listed species (western sand darter, pallid shiner, river redhorse, purple wartyback, spike, blacksandshell, and sheepnose) that had the potential to be affected by the replacement of thedischarge channel.
The incidental take permit prohibited construction activities from occurring during the spring spawning season and required relocation of state-listed freshwater musselsprior to the commencement of construction.
In July 2010, Ecological Specialists collected andrelocated 911 live mussels within the area that had the potential to be impacted by construction.
Relocated mussels included  
: 16. State-listed mussels (8 purple wartyback and 8 black sandshell).
The 2009 incidental take permit also requires the applicant to complete a follow-up survey offish and mussels near the construction area 5 years after completion of construction.
The DraftSupplemental EIS indicates this survey will be undertaken in 2016.Recommendation:
U.S. EPA recommends NRC conduct the follow-up survey of fishand mussels in the project area and consult with IDNR before a license renewal decisionis made. All correspondence regarding consultation and coordination with IDNR shouldbe included as an appendix to the Final Supplemental EIS and the results of thatconsultation should be included in the body of the Final Supplemental EIS.Bald EaglesA stated in Section 3.6.3.3, Important Species and Habitat, "The bald eagle, which is Federally-protected under the Bald and Golden Eagle Protection Act (BGEPA) and the Migratory BirdTreaty Act (MBTA), has nested on one of the cooling pond islands in the past. The BGEPA andMBTA provide certain protections to bald and golden (Aquila chrysaetos) eagles and migratory birds, respectively.
USFWS Chicago Ecological Services Field Office provided technical assistance to the applicant to ensure that eagles were protected and the applicant appropriately complied with the BGEPA. In its Environmental Report, the applicant indicated that bald eagleshave not nested on the cooling pond in recent years." The Draft Supplemental EIS is not clearregarding the time period during which bald eagles have been nesting on the islands in thecooling ponds.Recommendation:
U.S. EPA recommends the Final Supplemental EIS indicate if baldeagles had been observed nesting during the 2014 nesting season and whether it appearsthat a nest(s) on the cooling pond islands are or will be occupied during the 2015 nestingseason, which can begin in January or February'.
If bald eagles are observed nesting oncooling ponds islands during the 2015 nesting season, we recommend a discussion beadded to the EIS concerning the applicant's plans to adhere to USFWS' 2007 NationalBald Eagle Management Guidelines and details of any technical assistance provided bythe USFWS. Lastly, passing any information about bald eagle sightings to USFWS helpsthe agency maintain its sightings database.
'http://www.fws.gov/southeast/es/baldeaple!baea nhstry snstvty.htnl 2
'http://www.fws.gov/southeast/es/baldeaple!baea nhstry snstvty.htnl 2
Wildlife Management PlanThe applicant maintains a Wildlife Habitat Council (WHC)-certified Wildlife Management Planfor the Braidwood site. The plan outlines the goals and projects of the applicant's Wildlife atWork program, which includes ecological management of the cooling pond (referred to as"Braidwood Lake" in the plan) through fish population management, underwater habitatrestoration, and shoreline habitat restoration.
 
The plan indicates that the applicant.will considerplanting other native shoreline plants, in consultation with IDNR in the future. The applicant will also evaluate the potential for controlling and removing some of the non-native invasivecommon reed (Phragrnites australis) with mechanical methods and aquatic-safe herbicides.
Wildlife Management Plan The applicant maintains a Wildlife Habitat Council (WHC)-certified Wildlife Management Plan for the Braidwood site. The plan outlines the goals and projects of the applicant's Wildlife at Work program, which includes ecological management of the cooling pond (referred to as "Braidwood Lake" in the plan) through fish population management, underwater habitat restoration, and shoreline habitat restoration. The plan indicates that the applicant.will consider planting other native shoreline plants, in consultation with IDNR in the future. The applicant will also evaluate the potential for controlling and removing some of the non-native invasive common reed (Phragrnitesaustralis)with mechanical methods and aquatic-safe herbicides.
Non-native species are not currently being controlled)."
Non-native species are not currently being controlled)."
Recommendation:
Recommendation: The Draft Supplemental EIS indicates that the applicant intends to seek WIHC recertification and continue to implement wildlife protection programs during the term of the proposed re-licensing. U.S. EPA commends the applicant and the Braidwood staff in conducting these activities. We encourage incorporation of additional native shoreline plantings and removal of terrestrial and aquatic non-native, invasive species in the Wildlife Management Plan.
The Draft Supplemental EIS indicates that the applicant intends toseek WIHC recertification and continue to implement wildlife protection programs duringthe term of the proposed re-licensing.
Surface Water Section 3.5.1.3, Surface Water Quality and Effluents, provides locations of the Braidwood National Pollution Discharge Elimination System (NPDES) outfalls in Figure 3-8 and Table 3-6 lists a brief description of each outfall. The discussion of the NPDES permit limits with the associated outfalls that follows is ambiguous.
U.S. EPA commends the applicant and theBraidwood staff in conducting these activities.
Recommendation: A table with each NPDES outfall with corresponding monitoring and effluent limits for each would provide the reader with a clearer description of pollutants that could potentially be released from the facility. This information would make the public aware of potential exposures or water quality impacts that may impair or restrict designated uses of that water body.
We encourage incorporation of additional native shoreline plantings and removal of terrestrial and aquatic non-native, invasivespecies in the Wildlife Management Plan.Surface WaterSection 3.5.1.3, Surface Water Quality and Effluents, provides locations of the Braidwood National Pollution Discharge Elimination System (NPDES) outfalls in Figure 3-8 and Table 3-6lists a brief description of each outfall.
Section 3.5.1.3, Surface Water Quality and Effluents, page 3-31 starting on line 3 mentions that the applicant has prepared a Storm Water Pollution Prevention Plan (SWPPP). Section 3.13.2, Nonradioactive Waste, also discusses the SWPPP and that it "identifies potential sources of pollution that may affect the quality of storm water discharges from each permitted outfall".
The discussion of the NPDES permit limits with theassociated outfalls that follows is ambiguous.
Recommendation: The Final Supplemental EIS should provide more discussion on these sources of pollution that potentially could be discharged from the facility into the storm water outfall. The Final Supplemental EIS should contain, at minimnum, impacts on the environment with respect to quantities released and the effects of those releases on water quality and public exposure.
Recommendation:
U.S. EPA acknowledges the discussion beginning on page 4-61 regarding the recently updated requirements under the Clean Water Act Section 316(b) on impingement and entrainment of aquatic organisms. We appreciate the inclusion of this information and note that specific upgrades to the cooling water system, if any, will be identified during the facility's next NPDES permit in July 2019.
A table with each NPDES outfall with corresponding monitoring andeffluent limits for each would provide the reader with a clearer description of pollutants that could potentially be released from the facility.
3
This information would make thepublic aware of potential exposures or water quality impacts that may impair or restrictdesignated uses of that water body.Section 3.5.1.3, Surface Water Quality and Effluents, page 3-31 starting on line 3 mentions thatthe applicant has prepared a Storm Water Pollution Prevention Plan (SWPPP).
 
Section 3.13.2,Nonradioactive Waste, also discusses the SWPPP and that it "identifies potential sources ofpollution that may affect the quality of storm water discharges from each permitted outfall".
Global Climate Change - Aquatic Resources U.S. EPA notes that there has been one requested and approved variance to the NPDES permit regarding temperature in the past five years2 . The Draft Supplemental EIS includes some information on discharge and withdrawal rates, but not temperature data for the cooling pond and the Kankakee River, near the outfall. Further, there is no conclusion about whether anticipated increases in water temperature will change the way the plant operates. We are interested in a discussion of both impacts from withdrawal of water (that might be too warm to adequately serve as cooling water) and discharge of water (that might be too warm to discharge per the NPDES permit).
Recommendation:
Recommendation: U.S. EPA recommends NRC and the applicant come to a conclusion about whether there is a trend in increasing water temperatures in the cooling pond and the Kankakee River. The Final Supplemental EIS should also identify any potential impacts to operation from increasing water temperatures, in terms of both water withdrawal and water discharge.
The Final Supplemental EIS should provide more discussion on thesesources of pollution that potentially could be discharged from the facility into the stormwater outfall.
Global Climate Change and Greenhouse Gases On December 18, 2014, the Council on Environmental Quality released revised draft guidance for public comment that describes how Federal departments and agencies should consider the effects of greenhouse gas (GHG) emissions and climate change in their NEPA reviews. The revised draft guidance supersedes the draft GHG and climate change guidance released by CEQ in February 2010. This guidance explains that agencies should consider both the potential effects of a proposed action on climate change, as indicated by its estimated GHG emissions, and the implications of climate change for the environmental effects of a proposed action.
The Final Supplemental EIS should contain, at minimnum, impacts on theenvironment with respect to quantities released and the effects of those releases on waterquality and public exposure.
Section 4.15.3 details potential GHG emissions and impacts related to climate change, concluding that GHG emissions would be lower for activities associated with license renewal than for fossil-fuel based energy production, as analyzed in the Draft Supplemental EIS.
U.S. EPA acknowledges the discussion beginning on page 4-61 regarding the recently updatedrequirements under the Clean Water Act Section 316(b) on impingement and entrainment ofaquatic organisms.
Recommendation: We recommend that the Final Supplemental EIS identify opportunities to minimize GHG emissions associated with operation of the facility to the extent feasible during the license renewal period. For example, clean energy options, such as energy efficiency and renewable energy, can be considered in the purchase of maintenance equipment, new equipment and vehicles. See also, U.S. EPA's diesel emission reduction strategies, below, for options to consider. In addition, U.S. EPA recommends that the applicant consider the need to develop adaptation measures to address impacts from climate change on the facility, such as increased intensity and frequency of storm and flood events.
We appreciate the inclusion of this information and note that specificupgrades to the cooling water system, if any, will be identified during the facility's next NPDESpermit in July 2019.3 Global Climate Change -Aquatic Resources U.S. EPA notes that there has been one requested and approved variance to the NPDES permitregarding temperature in the past five years2.The Draft Supplemental EIS includes someinformation on discharge and withdrawal rates, but not temperature data for the cooling pond andthe Kankakee River, near the outfall.  
Air Quality U.S. EPA notes the only proposed refurbishment activities proposed at Braidwood are the steam generator replacement for Unit 2 and reactor pressure vessel head replacement for one or both 2
: Further, there is no conclusion about whether anticipated increases in water temperature will change the way the plant operates.
Page 4-65, lines. 9-12: In the past 5 years, Braidwood has reportedone noncompliancewith Special Condition 4 to the 1EPA. In March 2012, blowdown water dischargedas effluent to the Kankakee River at Oufall 001 exceeded the permitted temperaturelimits at points beyond the mixing zone edge due to a period of extremely warm weather and little to no precipitationin Illinois (Exelon 20141).
We are interested in adiscussion of both impacts from withdrawal of water (that might be too warm to adequately serve as cooling water) and discharge of water (that might be too warm to discharge per theNPDES permit).Recommendation:
4
U.S. EPA recommends NRC and the applicant come to a conclusion about whether there is a trend in increasing water temperatures in the cooling pond andthe Kankakee River. The Final Supplemental EIS should also identify any potential impacts to operation from increasing water temperatures, in terms of both waterwithdrawal and water discharge.
 
Global Climate Change and Greenhouse GasesOn December 18, 2014, the Council on Environmental Quality released revised draft guidancefor public comment that describes how Federal departments and agencies should consider theeffects of greenhouse gas (GHG) emissions and climate change in their NEPA reviews.
units. Refurbishment activities are expected to take place during normal outage schedules and will be limited to already disturbed areas, therefore impacts are expected to be minimal.
Therevised draft guidance supersedes the draft GHG and climate change guidance released by CEQin February 2010. This guidance explains that agencies should consider both the potential effectsof a proposed action on climate change, as indicated by its estimated GHG emissions, and theimplications of climate change for the environmental effects of a proposed action.Section 4.15.3 details potential GHG emissions and impacts related to climate change,concluding that GHG emissions would be lower for activities associated with license renewalthan for fossil-fuel based energy production, as analyzed in the Draft Supplemental EIS.Recommendation:
However, U.S. EPA recommends the applicant commit to the following diesel emission reduction strategies to further reduce impacts to air quality as a result of the proposed construction activities associated with the license renewal process.
We recommend that the Final Supplemental EIS identifyopportunities to minimize GHG emissions associated with operation of the facility to theextent feasible during the license renewal period. For example, clean energy options,such as energy efficiency and renewable energy, can be considered in the purchase ofmaintenance equipment, new equipment and vehicles.
* Use low-sulfur diesel fuel (15 ppm sulfur) in construction vehicles and equipment.
See also, U.S. EPA's dieselemission reduction strategies, below, for options to consider.
* Retrofit engines with an exhaust filtration device to capture diesel particulate matter before it enters the construction site.
In addition, U.S. EPArecommends that the applicant consider the need to develop adaptation measures toaddress impacts from climate change on the facility, such as increased intensity andfrequency of storm and flood events.Air QualityU.S. EPA notes the only proposed refurbishment activities proposed at Braidwood are the steamgenerator replacement for Unit 2 and reactor pressure vessel head replacement for one or both2Page 4-65, lines. 9-12: In the past 5 years, Braidwood has reported one noncompliance with Special Condition 4 tothe 1EPA. In March 2012, blowdown water discharged as effluent to the Kankakee River at Oufall 001 exceeded thepermitted temperature limits at points beyond the mixing zone edge due to a period of extremely warm weather andlittle to no precipitation in Illinois (Exelon 20141).4 units. Refurbishment activities are expected to take place during normal outage schedules andwill be limited to already disturbed areas, therefore impacts are expected to be minimal.However, U.S. EPA recommends the applicant commit to the following diesel emissionreduction strategies to further reduce impacts to air quality as a result of the proposedconstruction activities associated with the license renewal process.* Use low-sulfur diesel fuel (15 ppm sulfur) in construction vehicles and equipment.
* Position the exhaust pipe so that diesel fumes are directed away from the operator and nearby workers, reducing the fume concentration to which personnel are exposed.
* Retrofit engines with an exhaust filtration device to capture diesel particulate matterbefore it enters the construction site.* Position the exhaust pipe so that diesel fumes are directed away from the operator andnearby workers, reducing the fume concentration to which personnel are exposed.* Use catalytic converters to reduce carbon monoxide, aldehydes, and hydrocarbons indiesel fumes. These devices must be used with low sulfur fuels.* Use enclosed, climate-controlled cabs pressurized and equipped with high efficiency particulate air (HEPA) filters to reduce the operators' exposure to diesel fumes.Pressurization ensures that air moves from inside to outside.
* Use catalytic converters to reduce carbon monoxide, aldehydes, and hydrocarbons in diesel fumes. These devices must be used with low sulfur fuels.
HEPA filters ensure that anyincoming air is filtered first.* Regularly maintain diesel engines, which is essential to keep exhaust emissions low.Follow the manufacturer's recommended maintenance schedule and procedures.
* Use enclosed, climate-controlled cabs pressurized and equipped with high efficiency particulate air (HEPA) filters to reduce the operators' exposure to diesel fumes.
Smokecolor can signal the need for maintenance.
Pressurization ensures that air moves from inside to outside. HEPA filters ensure that any incoming air is filtered first.
For example, blue/black smoke indicates thatan engine requires servicing or tuning.* Reduce exposure through work practices and training, such as turning off engines whenvehicles are stopped for more than a few minutes, training diesel-equipment operators toperform routine inspection, and maintaining filtration devices.* Repower older vehicles and/or equipment with diesel- or alternatively-fueled enginescertified to meet newer, more stringent emissions standards.
* Regularly maintain diesel engines, which is essential to keep exhaust emissions low.
Purchase new vehicles thatare equipped with the most advanced emission control systems available.
Follow the manufacturer's recommended maintenance schedule and procedures. Smoke color can signal the need for maintenance. For example, blue/black smoke indicates that an engine requires servicing or tuning.
* Use electric starting aids such as block heaters with older vehicles to warm the enginereduces diesel emissions.
* Reduce exposure through work practices and training, such as turning off engines when vehicles are stopped for more than a few minutes, training diesel-equipment operators to perform routine inspection, and maintaining filtration devices.
* Use respirators, which are only an interim measure to control exposure to dieselemissions.
* Repower older vehicles and/or equipment with diesel- or alternatively-fueled engines certified to meet newer, more stringent emissions standards. Purchase new vehicles that are equipped with the most advanced emission control systems available.
In most cases, an N95 respirator is adequate.
* Use electric starting aids such as block heaters with older vehicles to warm the engine reduces diesel emissions.
Workers must be trained and fit-tested before they wear respirators.
* Use respirators, which are only an interim measure to control exposure to diesel emissions. In most cases, an N95 respirator is adequate. Workers must be trained and fit-tested before they wear respirators. Depending on work being conducted, and if oil is present, concentrations of particulates present will determine the efficiency and type of mask and respirator. Personnel familiar with the selection, care, and use of respirators must perform the fit testing. Respirators must bear a NIOSH approval number.
Depending on work being conducted, and if oil ispresent, concentrations of particulates present will determine the efficiency and type ofmask and respirator.
      . Per Executive Order 13045 on Children's Health 3 , EPA recommends operators and workers pay particular attention to worksite proximity to places where children live, learn, and play, such as homes, schools, and playgrounds. Diesel emission reduction measures should be strictly implemented near these locations in order to be protective of children's health.
Personnel familiar with the selection, care, and use of respirators must perform the fit testing.
3 Children may be more highly exposed to contaminants because they generally eat more food, drink more water, and have higher inhalation rates relative to their size. Also, children's normal activities, such as putting their bands in their mouths or playing on the ground, can result in higher exposures to contaminants as compared with adults. Children may be more vulnerable to the toxic effects of contaminants because their bodies and systems are not fully developed and their growing organs are more easily harmed. EPA views childhood as a sequence of lifestages, from conception through fetal development, infancy, and adolescence.
Respirators must bear a NIOSH approval number..Per Executive Order 13045 on Children's Health3, EPA recommends operators andworkers pay particular attention to worksite proximity to places where children live,learn, and play, such as homes, schools, and playgrounds.
5
Diesel emission reduction measures should be strictly implemented near these locations in order to be protective ofchildren's health.3 Children may be more highly exposed to contaminants because they generally eat more food, drink more water,and have higher inhalation rates relative to their size. Also, children's normal activities, such as putting their bandsin their mouths or playing on the ground, can result in higher exposures to contaminants as compared withadults. Children may be more vulnerable to the toxic effects of contaminants because their bodies and systems arenot fully developed and their growing organs are more easily harmed. EPA views childhood as a sequence oflifestages, from conception through fetal development,  
 
: infancy, and adolescence.
            '
5  
 
'SUMMARY OF RATING DEFINITIONS AND FOLLOW UP ACTION*Environmental Impact of the ActionLO-Lack of Obiections The EPA review has not identified any potential environmental impacts requiring substantive changes to theproposal.
==SUMMARY==
The review may have disclosed opportunities for application of mitigation measures that could beaccomplished with no more than minor changes to the proposal.
OF RATING DEFINITIONS AND FOLLOW UP ACTION*
EC-Environmental ConcernsThe EPA review has identified environmental impacts that should be avoided in order to fully protect theenvironment.
Environmental Impact of the Action LO-Lack of Obiections The EPA review has not identified any potential environmental impacts requiring substantive changes to the proposal. The review may have disclosed opportunities for application of mitigation measures that could be accomplished with no more than minor changes to the proposal.
Corrective measures may require changes to the preferred alternative or application of mitigation measures that can reduce the environmental impacts.
EC-Environmental Concerns The EPA review has identified environmental impacts that should be avoided in order to fully protect the environment. Corrective measures may require changes to the preferred alternative or application of mitigation measures that can reduce the environmental impacts. EPA would like to work with the lead agency to reduce these impacts.
EPA would like to work with the lead agency to reduce theseimpacts.EO-Environmental Objections The EPA review has identified significant environmental impacts that must be avoided in order to provide adequateprotection for the environment.
EO-Environmental Objections The EPA review has identified significant environmental impacts that must be avoided in order to provide adequate protection for the environment. Corrective measures may require substantial changes to the preferred alternative or consideration of some other project alternative (including the no action alternative or a new alternative). EPA intends to work with the lead agency to reduce these impacts.
Corrective measures may require substantial changes to the preferred alternative orconsideration of some other project alternative (including the no action alternative or a new alternative).
EU-Environmentally Unsatisfactory The EPA review has identified adverse environmental impacts that are of sufficient magnitude that they are unsatisfactory from the standpoint of public health or welfare or environmental quality: EPA intends to work with the lead agency to reduce these impacts. If the potential unsatisfactory impacts are not corrected at the final EIS stage, this proposal will be recommended for referral to the CEQ.
EPAintends to work with the lead agency to reduce these impacts.EU-Environmentally Unsatisfactory The EPA review has identified adverse environmental impacts that are of sufficient magnitude that they areunsatisfactory from the standpoint of public health or welfare or environmental quality:
Adequacy of the Impact Statement Category 1-Adequate The EPA believes the draft EIS adequately sets forth the environmental impact(s) of the preferred alterative and those of the alternatives reasonably available to the project or action. No further analysis or data collecting is necessary, but the reviewer may suggest the addition of clarifying language or information.
EPA intends to work withthe lead agency to reduce these impacts.
Categor, 2-Insufficient Information The draft EIS does not contain sufficient information for the EPA to fully assess the environmental impacts that should be avoided in order to fully protect the environment, or the EPA reviewer has identified new reasonably available alternatives that are within the spectrum of alternatives analyzed in the draft EIS, which could reduce the environmental impacts of the action. The identified additional information, data, analyses, or discussion should be included in the final E1S.
If the potential unsatisfactory impacts are not corrected at the final EISstage, this proposal will be recommended for referral to the CEQ.Adequacy of the Impact Statement Category 1-Adequate The EPA believes the draft EIS adequately sets forth the environmental impact(s) of the preferred alterative andthose of the alternatives reasonably available to the project or action. No further analysis or data collecting isnecessary, but the reviewer may suggest the addition of clarifying language or information.
Category 3-Jnadecuate EPA does not believe that the draft EIS adequately assesses potentially significant environmental impacts of the action, or the EPA reviewer has identified new, reasonably available alternatives that are outside of the spectrum of alternatives analyzed in the draft EIS, which should be analyzed in order to reduce the potentially significant environmental impacts. EPA believes that the identified additional information, data analyses, or discussions are of such a magnitude that they should have full public review at a draft stage. EPA does not believe that the draft EIS is adequate for the purposes of the NEPA and/or Section 309 review, and thus should be formally revised and made available for public comment in a supplemental or revised draft EIS. On the basis of the potential significant impacts involved, this proposal could be a candidate for referral to the CEQ.
: Categor, 2-Insufficient Information The draft EIS does not contain sufficient information for the EPA to fully assess the environmental impacts thatshould be avoided in order to fully protect the environment, or the EPA reviewer has identified new reasonably available alternatives that are within the spectrum of alternatives analyzed in the draft EIS, which could reduce theenvironmental impacts of the action. The identified additional information, data, analyses, or discussion should beincluded in the final E1S.Category 3-Jnadecuate EPA does not believe that the draft EIS adequately assesses potentially significant environmental impacts of theaction, or the EPA reviewer has identified new, reasonably available alternatives that are outside of the spectrum ofalternatives analyzed in the draft EIS, which should be analyzed in order to reduce the potentially significant environmental impacts.
"From EPA Manual 1640 Policy and Procedures for the Review of the Federal Actions Impacting the Environment}}
EPA believes that the identified additional information, data analyses, or discussions are ofsuch a magnitude that they should have full public review at a draft stage. EPA does not believe that the draft EIS isadequate for the purposes of the NEPA and/or Section 309 review, and thus should be formally revised and madeavailable for public comment in a supplemental or revised draft EIS. On the basis of the potential significant impacts involved, this proposal could be a candidate for referral to the CEQ."From EPA Manual 1640 Policy and Procedures for the Review of the Federal Actions Impacting the Environment}}

Latest revision as of 10:41, 31 October 2019

Comment (6) of Kenneth A. Westlake on Behalf of Us EPA on Draft Plant-Specific Supplement 55 to the Generic Environmental Impact Statement for License Renewal of Nuclear Plants Regarding Braidwood, Units 1 & 2
ML15154A508
Person / Time
Site: Braidwood  Constellation icon.png
Issue date: 05/12/2015
From: Westlake K
Environmental Protection Agency
To: Cindy Bladey
Rules, Announcements, and Directives Branch
References
80FR15827 00006
Download: ML15154A508 (8)


Text

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MAY 1 2 Z015 71315A~ 2 E-1 9J Cindy Bladey Chief, Rules, Announcements, and Directives Branch Division of Administrative Services ~,~gc' Office of Administration Mail Stop: 16 3WFN-06-A44.MP U.S. Nuclear Regulatory Commission Washington, DC 20555-000 1 Re: Draft Plant-Specific Supplement 55 to the Generic Environmental Impact Statement for License Renewal of Nuclear Plants Regarding Braidwood Station, Units 1 and 2, Braidwood, Wil County, Illinois - CEQ #20150078

Dear Ms. Bladey:

The U.S. Environmental Protection Agency has reviewed the Draft Supplemental Environmental Impact Statement (EIS) for the above-mentioned project prepared by the Nuclear Regulatory Commission (NRC). Our comments are provided pursuant to the National Environmental Policy Act (NEPA), the Council on Environmental Quality's NEPA Implementing Regulations (40 CFR 1500-1508), and Section 309 of the 'Clean Air Act.

Braidwood is a two-unit nuclear, pressurized-water reactor located in Will County, Illinois.

Ciddy began in 1988. Braidwood is owned and Rlde Commercial operation operated by Exelon Generation -

Oetl---/(/tgb Company, LLC (the applicant). The existing licenses will expire on October 17, 2026 and December 18, 2027, respectively. The applicant applied to NRC for an extension to its operating license, extending operation for an additional 20-year period. Based on information provided by the applicant, NRC's preferred alternative is to grant the 20-year extension.

The NRC developed a Generic EIS to streamline the license renewal process based on the premise that environmental impacts of most nuclear power plant license renewals are similar.

NRC develops facility-specific Supplemental EIS documents as the facilities apply for license renewal. U.S. EPA acknowledges that mitigation measures that are un-related to nuclear safety and security cannot be included in the NRC license. This includes, but is not limited to, diesel emissions reduction measures. However, because we find these measures to be value-added, we continue to recommend them to the applicant for any construction activities and include them in our comment letters. We encourage the applicant to incorporate mitigation measures into the project, wherever possible.

Based on our review of the Draft Supplemental EIS, U.S. EPA assigns a rating of Environmental Concerns - Adequate Information, EC-1. This is based, in part, on potential SUNSI Review Complete Template(= ADM -013 E-RIDSE ADM-03 K

'U impacts to threatened and endangered species, surface water runoff, climate change, and air quality related to refurbishment activities. Our summary of ratings definitions is enclosed.

U.S. EPA commends NRC on the enhanced quality of the document, particularly with the use of color diagrams and maps, where color gradients are used. We also commend NRC on improved communication between our agencies; outreach to us was proactive and timely. U.S. EPA appreciates advanced notice of upcoming projects and meetings.

Thank you for the opportunity to comment on this document. If you have any questions or wish to discuss any aspect of this document, please contact Elizabeth Poole of my staff at 312-353-2087 or poole.elizabeth@epa.gov.

Sincerely, Kenneth A. Westlake Chief, NEPA Implementation Section Office of Enfpr'cement and Compliance Assurance Enclosures/(2): Detailed Comments Summary of Ratings Cc: Nathan Grider, Illinois Department of Natural Resources Shawn Cirton, U.S. Fish and Wildlife Service Tam Tran, U.S. Nuclear Regulatory Commission Alan Keller, Illinois Environmental Protection Agency 2

U.S. EPA Detailed Comments on Braidwood Units 1 and 2 License Renewal Draft Supplemental Environmental Impact Statement May 2015 Threatened and Endangered Species Federally-Listed Species The Northern Long-Eared Bat (Myotis septentrionalis)(NLEB) was Federally-listed as a.

threatened species in April 2015. USFWS reports that surveys in Shawnee National Forest in Illinois, about 300 miles south of Braidwood, consistently catch NLEBs, and USFWS states they may be found on the Braidwood site. USFWS has also indicated that winter hibernacula are not located on the Braidwood site; however, when NLEBs forage at night and roost during daylight in small numbers in live and dead trees, they change roosts often. The Draft Supplemental EIS indicates "This site would probably not provide prime habitat for long-ear bats even though they are more opportunistic than Indiana bats in roost selection."

Recommendation: U.S. EPA recommends NRC consult with USFWS to determine the following: 1) what type(s) of non-winter habitat NLEBs use, 2) if such habitat exists at the Braidwood site, what protocol should be used and what time of year is best to survey for NLEBs, and 3) if NLEBs are captured at the Braidwood site, what effect license renewal will have on NLEBs. U.S. EPA recommends consultation with USFWS under Section 7 of the Endangered Species Act regarding the NLEB occur before the Final Supplemental EIS is published. If USFWS concurs that license renewal would have no effect on the NLEB, USFWS may propose technical assistance to the applicants to ensure any NLEB habitat located on the Braidwood site remains viable for the NLEB. If technical assistance is provided, we strongly recommend the applicant commit to including the provisions of the technical assistance in its management plans. All correspondence regarding consultation and coordination with USFWS should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included the Final Supplemental EIS.

As stated in the Draft Supplemental EIS, sheepnose mussels (Plethobasuscyphyus) are susceptible to direct and indirect effects (through host fish species) of Braidwood's effluent, due to temperature and current alterations and to chemical contaminants. USFWS' 2013 letter to NRC notes the possible presence of the Federally-listed sheepnose mussel and requested NRC pay particular attention "to potential impacts from water quality (including temperature) and water quantity that may result from proposed operations" on those species. Mussel surveys were conducted near Braidwood in 2008 and 2009. The most recent survey was conducted in 2012 and sampled 20 sites in the Kankakee River. Sheepnose were found at two sites in the Kankakee River. However, it is not clear from reviewing the Draft Supplemental EIS where the sheepnose were found in relation to the project area.

Recommendation: The mussel surveys conducted in the project area are several years old. U.S. EPA recommends NRC consult with USFWS to determine if these surveys are still valid or whether additional mussel surveys are needed before a license renewal decision is made. All correspondence regarding consultation and coordination with U.S.

F.WS should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included in the body of the Final Supplemental EIS.

1

State-Listed Species As stated in the Draft Supplemental EIS, the Illinois Department of Natural Resources (IDNR) lists 14 State-endangered or threatened species (9 fish, 5 mussels) in Will County, and available aquatic surveys (ESI 2009; HDR 2008, 2014; IDNR 1998; Price et al. 2012) indicate that 10 of these species (5 fish, 5 mussels) occur within the Kankakee River and its tributaries. In December 2009, the IDNR (2009) issued an incidental take permit to the applicant for State-listed species (western sand darter, pallid shiner, river redhorse, purple wartyback, spike, black sandshell, and sheepnose) that had the potential to be affected by the replacement of the discharge channel. The incidental take permit prohibited construction activities from occurring during the spring spawning season and required relocation of state-listed freshwater mussels prior to the commencement of construction. In July 2010, Ecological Specialists collected and relocated 911 live mussels within the area that had the potential to be impacted by construction.

Relocated mussels included 16. State-listed mussels (8 purple wartyback and 8 black sandshell).

The 2009 incidental take permit also requires the applicant to complete a follow-up survey of fish and mussels near the construction area 5 years after completion of construction. The Draft Supplemental EIS indicates this survey will be undertaken in 2016.

Recommendation: U.S. EPA recommends NRC conduct the follow-up survey of fish and mussels in the project area and consult with IDNR before a license renewal decision is made. All correspondence regarding consultation and coordination with IDNR should be included as an appendix to the Final Supplemental EIS and the results of that consultation should be included in the body of the Final Supplemental EIS.

Bald Eagles A stated in Section 3.6.3.3, Important Species and Habitat, "The bald eagle, which is Federally-protected under the Bald and Golden Eagle Protection Act (BGEPA) and the Migratory Bird Treaty Act (MBTA), has nested on one of the cooling pond islands in the past. The BGEPA and MBTA provide certain protections to bald and golden (Aquila chrysaetos) eagles and migratory birds, respectively. USFWS Chicago Ecological Services Field Office provided technical assistance to the applicant to ensure that eagles were protected and the applicant appropriately complied with the BGEPA. In its Environmental Report, the applicant indicated that bald eagles have not nested on the cooling pond in recent years." The Draft Supplemental EIS is not clear regarding the time period during which bald eagles have been nesting on the islands in the cooling ponds.

Recommendation: U.S. EPA recommends the Final Supplemental EIS indicate if bald eagles had been observed nesting during the 2014 nesting season and whether it appears that a nest(s) on the cooling pond islands are or will be occupied during the 2015 nesting season, which can begin in January or February'. If bald eagles are observed nesting on cooling ponds islands during the 2015 nesting season, we recommend a discussion be added to the EIS concerning the applicant's plans to adhere to USFWS' 2007 National Bald Eagle Management Guidelines and details of any technical assistance provided by the USFWS. Lastly, passing any information about bald eagle sightings to USFWS helps the agency maintain its sightings database.

'http://www.fws.gov/southeast/es/baldeaple!baea nhstry snstvty.htnl 2

Wildlife Management Plan The applicant maintains a Wildlife Habitat Council (WHC)-certified Wildlife Management Plan for the Braidwood site. The plan outlines the goals and projects of the applicant's Wildlife at Work program, which includes ecological management of the cooling pond (referred to as "Braidwood Lake" in the plan) through fish population management, underwater habitat restoration, and shoreline habitat restoration. The plan indicates that the applicant.will consider planting other native shoreline plants, in consultation with IDNR in the future. The applicant will also evaluate the potential for controlling and removing some of the non-native invasive common reed (Phragrnitesaustralis)with mechanical methods and aquatic-safe herbicides.

Non-native species are not currently being controlled)."

Recommendation: The Draft Supplemental EIS indicates that the applicant intends to seek WIHC recertification and continue to implement wildlife protection programs during the term of the proposed re-licensing. U.S. EPA commends the applicant and the Braidwood staff in conducting these activities. We encourage incorporation of additional native shoreline plantings and removal of terrestrial and aquatic non-native, invasive species in the Wildlife Management Plan.

Surface Water Section 3.5.1.3, Surface Water Quality and Effluents, provides locations of the Braidwood National Pollution Discharge Elimination System (NPDES) outfalls in Figure 3-8 and Table 3-6 lists a brief description of each outfall. The discussion of the NPDES permit limits with the associated outfalls that follows is ambiguous.

Recommendation: A table with each NPDES outfall with corresponding monitoring and effluent limits for each would provide the reader with a clearer description of pollutants that could potentially be released from the facility. This information would make the public aware of potential exposures or water quality impacts that may impair or restrict designated uses of that water body.

Section 3.5.1.3, Surface Water Quality and Effluents, page 3-31 starting on line 3 mentions that the applicant has prepared a Storm Water Pollution Prevention Plan (SWPPP). Section 3.13.2, Nonradioactive Waste, also discusses the SWPPP and that it "identifies potential sources of pollution that may affect the quality of storm water discharges from each permitted outfall".

Recommendation: The Final Supplemental EIS should provide more discussion on these sources of pollution that potentially could be discharged from the facility into the storm water outfall. The Final Supplemental EIS should contain, at minimnum, impacts on the environment with respect to quantities released and the effects of those releases on water quality and public exposure.

U.S. EPA acknowledges the discussion beginning on page 4-61 regarding the recently updated requirements under the Clean Water Act Section 316(b) on impingement and entrainment of aquatic organisms. We appreciate the inclusion of this information and note that specific upgrades to the cooling water system, if any, will be identified during the facility's next NPDES permit in July 2019.

3

Global Climate Change - Aquatic Resources U.S. EPA notes that there has been one requested and approved variance to the NPDES permit regarding temperature in the past five years2 . The Draft Supplemental EIS includes some information on discharge and withdrawal rates, but not temperature data for the cooling pond and the Kankakee River, near the outfall. Further, there is no conclusion about whether anticipated increases in water temperature will change the way the plant operates. We are interested in a discussion of both impacts from withdrawal of water (that might be too warm to adequately serve as cooling water) and discharge of water (that might be too warm to discharge per the NPDES permit).

Recommendation: U.S. EPA recommends NRC and the applicant come to a conclusion about whether there is a trend in increasing water temperatures in the cooling pond and the Kankakee River. The Final Supplemental EIS should also identify any potential impacts to operation from increasing water temperatures, in terms of both water withdrawal and water discharge.

Global Climate Change and Greenhouse Gases On December 18, 2014, the Council on Environmental Quality released revised draft guidance for public comment that describes how Federal departments and agencies should consider the effects of greenhouse gas (GHG) emissions and climate change in their NEPA reviews. The revised draft guidance supersedes the draft GHG and climate change guidance released by CEQ in February 2010. This guidance explains that agencies should consider both the potential effects of a proposed action on climate change, as indicated by its estimated GHG emissions, and the implications of climate change for the environmental effects of a proposed action.

Section 4.15.3 details potential GHG emissions and impacts related to climate change, concluding that GHG emissions would be lower for activities associated with license renewal than for fossil-fuel based energy production, as analyzed in the Draft Supplemental EIS.

Recommendation: We recommend that the Final Supplemental EIS identify opportunities to minimize GHG emissions associated with operation of the facility to the extent feasible during the license renewal period. For example, clean energy options, such as energy efficiency and renewable energy, can be considered in the purchase of maintenance equipment, new equipment and vehicles. See also, U.S. EPA's diesel emission reduction strategies, below, for options to consider. In addition, U.S. EPA recommends that the applicant consider the need to develop adaptation measures to address impacts from climate change on the facility, such as increased intensity and frequency of storm and flood events.

Air Quality U.S. EPA notes the only proposed refurbishment activities proposed at Braidwood are the steam generator replacement for Unit 2 and reactor pressure vessel head replacement for one or both 2

Page 4-65, lines. 9-12: In the past 5 years, Braidwood has reportedone noncompliancewith Special Condition 4 to the 1EPA. In March 2012, blowdown water dischargedas effluent to the Kankakee River at Oufall 001 exceeded the permitted temperaturelimits at points beyond the mixing zone edge due to a period of extremely warm weather and little to no precipitationin Illinois (Exelon 20141).

4

units. Refurbishment activities are expected to take place during normal outage schedules and will be limited to already disturbed areas, therefore impacts are expected to be minimal.

However, U.S. EPA recommends the applicant commit to the following diesel emission reduction strategies to further reduce impacts to air quality as a result of the proposed construction activities associated with the license renewal process.

  • Use low-sulfur diesel fuel (15 ppm sulfur) in construction vehicles and equipment.
  • Retrofit engines with an exhaust filtration device to capture diesel particulate matter before it enters the construction site.
  • Position the exhaust pipe so that diesel fumes are directed away from the operator and nearby workers, reducing the fume concentration to which personnel are exposed.
  • Use catalytic converters to reduce carbon monoxide, aldehydes, and hydrocarbons in diesel fumes. These devices must be used with low sulfur fuels.
  • Use enclosed, climate-controlled cabs pressurized and equipped with high efficiency particulate air (HEPA) filters to reduce the operators' exposure to diesel fumes.

Pressurization ensures that air moves from inside to outside. HEPA filters ensure that any incoming air is filtered first.

  • Regularly maintain diesel engines, which is essential to keep exhaust emissions low.

Follow the manufacturer's recommended maintenance schedule and procedures. Smoke color can signal the need for maintenance. For example, blue/black smoke indicates that an engine requires servicing or tuning.

  • Reduce exposure through work practices and training, such as turning off engines when vehicles are stopped for more than a few minutes, training diesel-equipment operators to perform routine inspection, and maintaining filtration devices.
  • Repower older vehicles and/or equipment with diesel- or alternatively-fueled engines certified to meet newer, more stringent emissions standards. Purchase new vehicles that are equipped with the most advanced emission control systems available.
  • Use electric starting aids such as block heaters with older vehicles to warm the engine reduces diesel emissions.
  • Use respirators, which are only an interim measure to control exposure to diesel emissions. In most cases, an N95 respirator is adequate. Workers must be trained and fit-tested before they wear respirators. Depending on work being conducted, and if oil is present, concentrations of particulates present will determine the efficiency and type of mask and respirator. Personnel familiar with the selection, care, and use of respirators must perform the fit testing. Respirators must bear a NIOSH approval number.

. Per Executive Order 13045 on Children's Health 3 , EPA recommends operators and workers pay particular attention to worksite proximity to places where children live, learn, and play, such as homes, schools, and playgrounds. Diesel emission reduction measures should be strictly implemented near these locations in order to be protective of children's health.

3 Children may be more highly exposed to contaminants because they generally eat more food, drink more water, and have higher inhalation rates relative to their size. Also, children's normal activities, such as putting their bands in their mouths or playing on the ground, can result in higher exposures to contaminants as compared with adults. Children may be more vulnerable to the toxic effects of contaminants because their bodies and systems are not fully developed and their growing organs are more easily harmed. EPA views childhood as a sequence of lifestages, from conception through fetal development, infancy, and adolescence.

5

'

SUMMARY

OF RATING DEFINITIONS AND FOLLOW UP ACTION*

Environmental Impact of the Action LO-Lack of Obiections The EPA review has not identified any potential environmental impacts requiring substantive changes to the proposal. The review may have disclosed opportunities for application of mitigation measures that could be accomplished with no more than minor changes to the proposal.

EC-Environmental Concerns The EPA review has identified environmental impacts that should be avoided in order to fully protect the environment. Corrective measures may require changes to the preferred alternative or application of mitigation measures that can reduce the environmental impacts. EPA would like to work with the lead agency to reduce these impacts.

EO-Environmental Objections The EPA review has identified significant environmental impacts that must be avoided in order to provide adequate protection for the environment. Corrective measures may require substantial changes to the preferred alternative or consideration of some other project alternative (including the no action alternative or a new alternative). EPA intends to work with the lead agency to reduce these impacts.

EU-Environmentally Unsatisfactory The EPA review has identified adverse environmental impacts that are of sufficient magnitude that they are unsatisfactory from the standpoint of public health or welfare or environmental quality: EPA intends to work with the lead agency to reduce these impacts. If the potential unsatisfactory impacts are not corrected at the final EIS stage, this proposal will be recommended for referral to the CEQ.

Adequacy of the Impact Statement Category 1-Adequate The EPA believes the draft EIS adequately sets forth the environmental impact(s) of the preferred alterative and those of the alternatives reasonably available to the project or action. No further analysis or data collecting is necessary, but the reviewer may suggest the addition of clarifying language or information.

Categor, 2-Insufficient Information The draft EIS does not contain sufficient information for the EPA to fully assess the environmental impacts that should be avoided in order to fully protect the environment, or the EPA reviewer has identified new reasonably available alternatives that are within the spectrum of alternatives analyzed in the draft EIS, which could reduce the environmental impacts of the action. The identified additional information, data, analyses, or discussion should be included in the final E1S.

Category 3-Jnadecuate EPA does not believe that the draft EIS adequately assesses potentially significant environmental impacts of the action, or the EPA reviewer has identified new, reasonably available alternatives that are outside of the spectrum of alternatives analyzed in the draft EIS, which should be analyzed in order to reduce the potentially significant environmental impacts. EPA believes that the identified additional information, data analyses, or discussions are of such a magnitude that they should have full public review at a draft stage. EPA does not believe that the draft EIS is adequate for the purposes of the NEPA and/or Section 309 review, and thus should be formally revised and made available for public comment in a supplemental or revised draft EIS. On the basis of the potential significant impacts involved, this proposal could be a candidate for referral to the CEQ.

"From EPA Manual 1640 Policy and Procedures for the Review of the Federal Actions Impacting the Environment