ML13086A481: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
 
(Created page by program invented by StriderTol)
 
(8 intermediate revisions by the same user not shown)
Line 2: Line 2:
| number = ML13086A481
| number = ML13086A481
| issue date = 03/27/2013
| issue date = 03/27/2013
| title = James A. FitzPatrick Nuclear Power Plant, ME8189 - G20120172/EDATS: OEDO-2012-0147 - E-mail from Additional Co-Petitioner, Sally Moore, Et Al
| title = ME8189 - G20120172/EDATS: OEDO-2012-0147 - E-mail from Additional Co-Petitioner, Sally Moore, Et Al
| author name = Cox C, Fortin K, Johnson L, Launois C P, Mathot A, Moore S, Akard J, Stebbings B
| author name = Cox C, Fortin K, Johnson L, Launois C, Mathot A, Moore S, Akard J, Stebbings B
| author affiliation = - No Known Affiliation
| author affiliation = - No Known Affiliation
| addressee name = Borchardt R W, Vaidya B K
| addressee name = Borchardt R, Vaidya B
| addressee affiliation = NRC/EDO, NRC/NRR
| addressee affiliation = NRC/EDO, NRC/NRR
| docket = 05000333
| docket = 05000333
Line 13: Line 13:
| document type = 2.206 Petition, E-Mail
| document type = 2.206 Petition, E-Mail
| page count = 16
| page count = 16
| project = TAC:ME8189
| stage = Other
}}
}}
=Text=
{{#Wiki_filter:Vaidya, Bhalchandra From:                        Sally Moore [sallymoore8l@hotmail.com]
Sent:                        Wednesday, March 27, 2013 8:01 AM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
. The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Sally Moore 15/321 Beaconsfield Parade St Kilda, ot 3182 2
Vaidya, Bhalchandra From:                        Chris Pan Launois [Panmail@aol.com]
Sent:                        Tuesday, March 26, 2013 10:42 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
* The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
. The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
* Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Chris Pan Launois www.thePan.com 131 W. 85th. St.
131 W. 85th. St.
New York, NY 10024 2
Vaidya, Bhalchandra From:                        Barrie Stebbings [barriemom@aol.com]
Sent:                        Tuesday, March 26, 2013 4:52 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
* The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
* Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Barrie Stebbings P 0 Box 449 Stinson Beach, CA 94970 2
Vaidya, Bhalchandra From:                        Jeffrey Akard [onlyart@optonline.net]
Sent:                        Tuesday, March 26, 2013 4:08 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
* The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
*It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Jeffrey Akard Jeffrey Akard Post Office Box 2008 Post Office Box 2008, East Hampton, NY 11937 East Hampton, NY 11937 2
Vaidya, Bhalchandra From:                        Kim Fortin [fortinkim@gmail.com]
Sent:                        Tuesday, March 26, 2013 2:58 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
* Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
I
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Kim Fortin 601 Ridgewood Ave., Apt. 107 Minneapolis, MN 55403 2
Vaidya, Bhalchandra From:                        Leslie Johnson [leslie.aclu@gmail.com]
Sent:                        Monday, March 25, 2013 3:11 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
* The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Leslie Johnson world citizen PO Box 7655 Chico, CA 95927 2
Vaidya, Bhalchandra From:                        Carol Cox [ctcox@cox.net]
Sent:                        Monday, March 25, 2013 12:02 PM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
* The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
. In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you Carol Cox 8 Bel Plains Drive Fredericksburg, VA 22405 2
Vaidya, Bhalchandra From:                        anne mathot [apmathot@hotmail.com]
Sent:                        Monday, March 25, 2013 11:00 AM To:                          Vaidya, Bhalchandra
==Subject:==
In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York
==Dear Mr. Borchardt:==
I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.
. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
* In deciding not to install such a vent, the.FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
* The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
* Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.
Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:
: 1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
: 2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
* The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.
1
-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.
I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.
The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.
Thank you anne mathot Lambyhaie Ottignies, NY 13421 2}}

Latest revision as of 21:11, 4 November 2019

ME8189 - G20120172/EDATS: OEDO-2012-0147 - E-mail from Additional Co-Petitioner, Sally Moore, Et Al
ML13086A481
Person / Time
Site: FitzPatrick Constellation icon.png
Issue date: 03/27/2013
From: Cox C, Fortin K, Johnson L, Launois C, Mathot A, Scott Moore, Akard J, Stebbings B
- No Known Affiliation
To: Borchardt R, Bhalchandra Vaidya
NRC/EDO, Office of Nuclear Reactor Regulation
References
2.206, G20120172, OEDO-2012-0147, TAC ME8189
Download: ML13086A481 (16)


Text

Vaidya, Bhalchandra From: Sally Moore [sallymoore8l@hotmail.com]

Sent: Wednesday, March 27, 2013 8:01 AM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.

  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.

. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.

. The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Sally Moore 15/321 Beaconsfield Parade St Kilda, ot 3182 2

Vaidya, Bhalchandra From: Chris Pan Launois [Panmail@aol.com]

Sent: Tuesday, March 26, 2013 10:42 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

  • The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.

. The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.

  • Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Chris Pan Launois www.thePan.com 131 W. 85th. St.

131 W. 85th. St.

New York, NY 10024 2

Vaidya, Bhalchandra From: Barrie Stebbings [barriemom@aol.com]

Sent: Tuesday, March 26, 2013 4:52 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

  • The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
  • Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Barrie Stebbings P 0 Box 449 Stinson Beach, CA 94970 2

Vaidya, Bhalchandra From: Jeffrey Akard [onlyart@optonline.net]

Sent: Tuesday, March 26, 2013 4:08 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

  • The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.

. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.

The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

  • It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Jeffrey Akard Jeffrey Akard Post Office Box 2008 Post Office Box 2008, East Hampton, NY 11937 East Hampton, NY 11937 2

Vaidya, Bhalchandra From: Kim Fortin [fortinkim@gmail.com]

Sent: Tuesday, March 26, 2013 2:58 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.

  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
  • Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

I

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Kim Fortin 601 Ridgewood Ave., Apt. 107 Minneapolis, MN 55403 2

Vaidya, Bhalchandra From: Leslie Johnson [leslie.aclu@gmail.com]

Sent: Monday, March 25, 2013 3:11 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

  • The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.
  • In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.

. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Leslie Johnson world citizen PO Box 7655 Chico, CA 95927 2

Vaidya, Bhalchandra From: Carol Cox [ctcox@cox.net]

Sent: Monday, March 25, 2013 12:02 PM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

  • The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.

. In deciding not to install such a vent, the FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.

  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.

. Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you Carol Cox 8 Bel Plains Drive Fredericksburg, VA 22405 2

Vaidya, Bhalchandra From: anne mathot [apmathot@hotmail.com]

Sent: Monday, March 25, 2013 11:00 AM To: Vaidya, Bhalchandra

Subject:

In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York Mr. James Borchardt Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 VIA email to Bhalchandra K. Vaidya, NRC Petition Manager In the Matter of the James A. FitzPatrick Nuclear Plant in Scriba, New York

Dear Mr. Borchardt:

I wish to co-petition with the Alliance for a Green Economy and Beyond Nuclear's March 9, 2012 emergency enforcement petition to suspend the operation of the James A. FitzPatrick Nuclear Plant.

. The FitzPatrick plant is the only GE Mark I boiling water reactor in the US that did not install a Direct Torus Vent System as requested by the NRC in 1989 and instead, to save money, relies upon a "pre-existing" venting system that is not fully hardened against a severe accident.

  • In deciding not to install such a vent, the.FitzPatrick operator and the NRC relied upon assumptions that now place public health and safety at an undue risk.
  • The hydrogen explosions at the Fukushima reactors show the dangers and unacceptable consequences posed by the current FitzPatrick severe accident venting plan, since the plan was approved on the assumptions that venting would prevent containment failure, and that there are "no likely" ignition sources along the vent path. Neither of these assumptions was correct during the Fukushima nuclear catastrophe.
  • Subsequent to the Fukushima accident, the NRC inspected FitzPatrick and identified a "vulnerability, in that current procedures do not address hydrogen considerations" during a severe accident.

Therefore, I request NRC immediately suspend the FitzPatrick operating license until the following emergency enforcement actions are approved by the NRC:

1) Public hearings should be held on the continued operation of Entergy Nuclear Operations' Fitzpatrick plant and the adequacy of its plan to vent through a pre-existing path into the adjacent Standby Gas Treatment System building, blowing off the double doors to release a radiological accident to the outside environment at ground level. The public must be afforded due process to address the unacceptable risks to public health and safety posed by the FitzPatrick severe accident plan.
2) Entergy Nuclear Operations should publicly document for independent review its post-Fukushima re-analysis for the reliability and capability of the FitzPatrick pre-existing containment vent system.
  • The analysis should include the reassessment of all assumptions regarding the reliability of the pre-existing containment venting and specifically address non-conservative assumptions behind the cost-benefit analysis used to justify not installing a fully hardened vent system.

1

-It should also include a reassessment of the assumption of "no likely ignition points" during emergency venting that would otherwise present catastrophic consequences associated with the detonation of hydrogen gas and the release of radioactivity generated during a severe accident.

I wish the NRC to process my request using the 2.206 process, and I understand that under this process, the contents of this message and my identity will be made public.

The Alliance for a Green Economy is my point of contact for this petition, and their organizer, Jessica Azulay, will keep me informed about the developments of the petition and the opportunity to participate in a public meeting with the NRC Petition Review Board.

Thank you anne mathot Lambyhaie Ottignies, NY 13421 2