ML110460629: Difference between revisions

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| author name = Heath M
| author name = Heath M
| author affiliation = Progress Energy Florida, Inc
| author affiliation = Progress Energy Florida, Inc
| addressee name = Doyle D I
| addressee name = Doyle D
| addressee affiliation = NRC/NRR/DLR/RPB1
| addressee affiliation = NRC/NRR/DLR/RPB1
| docket = 05000302
| docket = 05000302
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=Text=
=Text=
{{#Wiki_filter:From: Heath, Mike [mike.heath@pgnmail.com] Sent: Tuesday, February 15, 2011 3:39 PM To: Doyle, Daniel Cc: Yowell, Doug; England, Louise  
{{#Wiki_filter:From:                         Heath, Mike [mike.heath@pgnmail.com]
Sent:                         Tuesday, February 15, 2011 3:39 PM To:                           Doyle, Daniel Cc:                           Yowell, Doug; England, Louise


==Subject:==
==Subject:==
CR-3 License Renewal NPDES and South Cooling Tower Update Categories: Crystal River  
CR-3 License Renewal NPDES and South Cooling Tower Update Categories:                   Crystal River As discussed in our earlier telephone call, I am including below minutes from the February 9 meeting between Progress Energy and FDEP that apply to your follow-up questions concerning the CR-3 NPDES permit and environmental issues associated with the helper cooling tower south (HCTS).
 
Mike Shrader and Doug Yowell met with Bala Nori (FDEP Permitting Engineer - Power Plant NPDES Program) and Marc Harris (FDEP Permitting Supervisor - Power Plant NPDES Program) on February 9, 2011 at the FDEP offices in Tallahassee. Also in attendance through part of the meeting was Alan Hubbard (FDEP Industrial Wastewater Permitting Supervisor) and various members of the FDEP Southwest District office (by teleconference). The purpose of the meeting was to discuss the most recent NPDES RAI issued for the CR 1,2 and 3 NPDES renewal application.
As discussed in our earlier telephone call, I am including below minutes from the February 9 meeting between Progress Energy and FDEP that apply to your follow-up questions concerning the CR-3 NPDES permit and environmental issues associated with the helper cooling tower south (HCTS).  
Mr. Nori and Mr. Harris informed us that the Department intended on proceeding with reissuance of the CR Units 1, 2, and 3 NPDES permit with a plan toward addressing 316(a) and 316(b) issues. In regard to 316(a), EPA Region 4 has been requiring plants to aggressively demonstrate compliance with 316(a) in order to renew any applicable 316(a) variance. To be consistent with Region 4, Mr. Nori and Mr. Harris will be requiring a similar 316(a) demonstration at Crystal River. They believe that these requirements will likely entail a two year study period that will need to be initiated after the EPU at CR3 and be completed prior the end of the permit cycle.
 
Specific to CR3, Mr. Nori and Mr. Harris were interested in the EPU and how we would comply with existing thermal limits considering we were withdrawing the HCTS from the current NPDES renewal application (to be addressed later as an NPDES permit modification should we proceed with construction).
Mike Shrader and Doug Yowell met with Bala Nori (FDEP Permitting Engineer - Power Plant NPDES Program) and Marc Harris (FDEP Permitting Supervisor - Power Plant NPDES Program) on February 9, 2011 at the FDEP offices in Tallahassee. Also in attendance through part of the meeting was Alan Hubbard (FDEP Industrial Wastewater Permitting Supervisor) and various members of the FDEP Southwest District office (by teleconference). The purpose of the meeting was to discuss the most recent NPDES RAI issued for the CR 1,2 and 3 NPDES renewal application.  
 
Mr. Nori and Mr. Harris informed us that the Department intended on proceeding with reissuance of the CR Units 1, 2, and 3 NPDES permit with a plan toward addressing 316(a) and 316(b) issues. In regard to 316(a), EPA Region 4 has been requiring plants to aggressively demonstrate compliance with 316(a) in order to renew any applicable 316(a) variance. To be consistent with Region 4, Mr. Nori and Mr. Harris will be requiring a similar 316(a) demonstration at Crystal River. They believe that these requirements will likely entail a two year study period that will need to be initiated after the EPU at CR3 and be completed prior the end of the permit cycle.  
 
Specific to CR3, Mr. Nori and Mr. Harris were interested in the EPU and how we would comply with existing thermal limits considering we were withdrawing the HCTS from the current NPDES renewal application (to be addressed later as an NPDES permit modification should we proceed with construction).  
 
Mr. Hubbard suggested that the most expedient way to incorporate the EPU was by issuance of an Administrative Order (AO) to be issued with the permit. It was proposed that the AO would require us to demonstrate reasonable assurance that we would be able to meet the current point of discharge (POD) thermal limit via fossil unit derate in lieu of building the HCTS. The use of an AO would also alleviate any need to insert a permit condition that could be more restrictive to Unit 1 and 2 operations.
Mr. Hubbard suggested that the most expedient way to incorporate the EPU was by issuance of an Administrative Order (AO) to be issued with the permit. It was proposed that the AO would require us to demonstrate reasonable assurance that we would be able to meet the current point of discharge (POD) thermal limit via fossil unit derate in lieu of building the HCTS. The use of an AO would also alleviate any need to insert a permit condition that could be more restrictive to Unit 1 and 2 operations.
Mr. Harris and Mr. Nori feel that the final NPDES permit along with the AO could be issued by midsummer of this year.  
Mr. Harris and Mr. Nori feel that the final NPDES permit along with the AO could be issued by midsummer of this year.
 
Michael P. Heath Supervisor, Progress Energy License Renewal 910 457 3487}}
Michael P. Heath Supervisor, Progress Energy License Renewal 910 457 3487}}

Latest revision as of 03:21, 13 November 2019

E-mail Dated 2/15/11, CR-3 License Renewal NPDES and South Cooling Tower Update
ML110460629
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 02/15/2011
From: Maurice Heath
Progress Energy Florida
To: Dan Doyle
License Renewal Projects Branch 1
Doyle D, NRR/DLR, 415-3748
References
TAC ME0278
Download: ML110460629 (1)


Text

From: Heath, Mike [mike.heath@pgnmail.com]

Sent: Tuesday, February 15, 2011 3:39 PM To: Doyle, Daniel Cc: Yowell, Doug; England, Louise

Subject:

CR-3 License Renewal NPDES and South Cooling Tower Update Categories: Crystal River As discussed in our earlier telephone call, I am including below minutes from the February 9 meeting between Progress Energy and FDEP that apply to your follow-up questions concerning the CR-3 NPDES permit and environmental issues associated with the helper cooling tower south (HCTS).

Mike Shrader and Doug Yowell met with Bala Nori (FDEP Permitting Engineer - Power Plant NPDES Program) and Marc Harris (FDEP Permitting Supervisor - Power Plant NPDES Program) on February 9, 2011 at the FDEP offices in Tallahassee. Also in attendance through part of the meeting was Alan Hubbard (FDEP Industrial Wastewater Permitting Supervisor) and various members of the FDEP Southwest District office (by teleconference). The purpose of the meeting was to discuss the most recent NPDES RAI issued for the CR 1,2 and 3 NPDES renewal application.

Mr. Nori and Mr. Harris informed us that the Department intended on proceeding with reissuance of the CR Units 1, 2, and 3 NPDES permit with a plan toward addressing 316(a) and 316(b) issues. In regard to 316(a), EPA Region 4 has been requiring plants to aggressively demonstrate compliance with 316(a) in order to renew any applicable 316(a) variance. To be consistent with Region 4, Mr. Nori and Mr. Harris will be requiring a similar 316(a) demonstration at Crystal River. They believe that these requirements will likely entail a two year study period that will need to be initiated after the EPU at CR3 and be completed prior the end of the permit cycle.

Specific to CR3, Mr. Nori and Mr. Harris were interested in the EPU and how we would comply with existing thermal limits considering we were withdrawing the HCTS from the current NPDES renewal application (to be addressed later as an NPDES permit modification should we proceed with construction).

Mr. Hubbard suggested that the most expedient way to incorporate the EPU was by issuance of an Administrative Order (AO) to be issued with the permit. It was proposed that the AO would require us to demonstrate reasonable assurance that we would be able to meet the current point of discharge (POD) thermal limit via fossil unit derate in lieu of building the HCTS. The use of an AO would also alleviate any need to insert a permit condition that could be more restrictive to Unit 1 and 2 operations.

Mr. Harris and Mr. Nori feel that the final NPDES permit along with the AO could be issued by midsummer of this year.

Michael P. Heath Supervisor, Progress Energy License Renewal 910 457 3487