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| number = ML14211A575
| number = ML14211A575
| issue date = 02/24/2014
| issue date = 02/24/2014
| title = Environmental Assessment and Finding of No Significant Impact (TAC Nos. ME9004 and ME9005)
| title = Environmental Assessment and Finding of No Significant Impact
| author name = Martin R E
| author name = Martin R
| author affiliation = NRC/NRR/DORL/LPLII-1
| author affiliation = NRC/NRR/DORL/LPLII-1
| addressee name = Pierce C R
| addressee name = Pierce C
| addressee affiliation = Southern Nuclear Operating Co, Inc
| addressee affiliation = Southern Nuclear Operating Co, Inc
| docket = 05000321, 05000366
| docket = 05000321, 05000366
| license number = DPR-057, NPF-005
| license number = DPR-057, NPF-005
| contact person = Martin R E
| contact person = Martin R
| case reference number = TAC ME9004, TAC ME9005
| case reference number = TAC ME9004, TAC ME9005
| document type = Environmental Assessment, Federal Register Notice, Letter
| document type = Environmental Assessment, Federal Register Notice, Letter
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 24, 2014 Mr. C. R. Pierce Regulatory Affairs Director Southern Nuclear Operating Company, Inc. Post Office Box 1295, Bin -038 Birmingham, AL 35201-1295  
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 24, 2014 Mr. C. R. Pierce Regulatory Affairs Director Southern Nuclear Operating Company, Inc.
Post Office Box 1295, Bin - 038 Birmingham, AL 35201-1295


==SUBJECT:==
==SUBJECT:==
EDWIN I. HATCH NUCLEAR PLANT, UNITS 1 AND 2-ENVIRONMENTAL ASSESSMENT AND FINDING OF NO SIGNIFICANT IMPACT (TAC NOS. ME9004 and ME9005)  
EDWIN I. HATCH NUCLEAR PLANT, UNITS 1 AND 2- ENVIRONMENTAL ASSESSMENT AND FINDING OF NO SIGNIFICANT IMPACT (TAC NOS.
ME9004 and ME9005)


==Dear Mr. Pierce:==
==Dear Mr. Pierce:==
Enclosed is a copy of the Environmental Assessment and Finding of No Significant Impact related to your license amendment request letters, dated July 5 and October 10, 2012. The proposed action would amend the Technical Specifications in Appendix A of HNP's Renewed Facility Operating Licenses by revising the minimum water level for the plant service water system and ultimate heat sink from 60.7 feet (ft) to 60.5 ft mean sea level. The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely. The assessment is being forwarded to the Office of the Federal Register for publication.
 
Docket Nos. 50-321 and 50-366  
Enclosed is a copy of the Environmental Assessment and Finding of No Significant Impact related to your license amendment request letters, dated July 5 and October 10, 2012. The proposed action would amend the Technical Specifications in Appendix A of HNP's Renewed Facility Operating Licenses by revising the minimum water level for the plant service water system and ultimate heat sink from 60.7 feet (ft) to 60.5 ft mean sea level.
The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely.
The assessment is being forwarded to the Office of the Federal Register for publication.
Sincerely,
                                          ~o~ager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket Nos. 50-321 and 50-366


==Enclosure:==
==Enclosure:==


Environmental Assessment cc w/encl: Distribution via Listserv Sincerely, Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation 
Environmental Assessment cc w/encl: Distribution via Listserv
 
[7590-01-P]
[7590-01-P]
NUCLEAR REGULATORY COMMISSION  
NUCLEAR REGULATORY COMMISSION
[Docket Nos. 50-321 and 50-366; NRC-201 X-XXXX] Edwin I. Hatch Nuclear Plant, Unit Nos. 1 and 2 Environmental Assessment and Finding of No Significant Impact Related to the Proposed License Amendment to Revise the Minimum Water Level in the Plant Service Water System Pump Well AGENCY: Nuclear Regulatory Commission ACTION: Environmental assessment and finding of no significant impact; issuance.
[Docket Nos. 50-321 and 50-366; NRC-201 X-XXXX]
FOR FURTHER INFORMATION CONTACT: Robert E. Martin, Senior Project Manager, Licensing Branch 11-1, Division of Operating Reactor Licensing, Office of-Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Rockville; Maryland, 20852. Telephone:  
Edwin I. Hatch Nuclear Plant, Unit Nos. 1 and 2 Environmental Assessment and Finding of No Significant Impact Related to the Proposed License Amendment to Revise the Minimum Water Level in the Plant Service Water System Pump Well AGENCY: Nuclear Regulatory Commission ACTION: Environmental assessment and finding of no significant impact; issuance.
(301) 415-1493; fax number: (301) 415-2102; e-mail: Robert.Martin@nrc.gov.  
FOR FURTHER INFORMATION CONTACT: Robert E. Martin, Senior Project Manager, Licensing Branch 11-1, Division of Operating Reactor Licensing, Office of-Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Rockville; Maryland, 20852. Telephone:
*ADDRESSES:
(301) 415-1493; fax number: (301) 415-2102; e-mail: Robert.Martin@nrc.gov.
Please refer to Docket ID NRC-20YY-XXXX when contacting the NRC about the availability of information regarding this document.
*ADDRESSES: Please refer to Docket ID NRC-20YY-XXXX when contacting the NRC about the availability of information regarding this document. You may access information related to this document, which the NRC possesses and are publicly available, using any of the following methods:
You may access information related to this document, which the NRC possesses and are publicly available, using any of the following methods:
* Federal rulemaking Web site: Go to http://www.regulations.gov and search for Docket ID NRC-20YY-XXXX. Address questions about NRC dockets to Carol Gallagher; telephone: 301-287-3422; e-ma!l: Caroi.Gallaqher@nrc.gov.
* Federal rulemaking Web site: Go to http://www.regulations.gov and search for Docket ID NRC-20YY-XXXX.
Address questions about NRC dockets to Carol Gallagher; telephone:
301-287-3422; e-ma!l: Caroi.Gallaqher@nrc.gov.
* NRC's Agencywide Documents Access and Management System (Aq_AMS):
* NRC's Agencywide Documents Access and Management System (Aq_AMS):
You may access publicly available documents online in the NRC Library at   http://www.nrc.gov/readinq-rm/adams.html.
You may access publicly available documents online in the NRC Library at
To begin the search, select "ADAMS Public Documents" and then select "Begin Web-based ADAMS Search." For problems with ADAMS, please contact the NRC's Public Document Room (PDR) reference staff at 1-800-397-4209, 301-415-4737, or by e-mail to pdr.resource@
 
nrc.gov. The ADAMS accession number for each document referenced in this notice (if Jhat document is available in ADAMS) is provided the first time that a document is referenced.
http://www.nrc.gov/readinq-rm/adams.html. To begin the search, select "ADAMS Public Documents" and then select "Begin Web-based ADAMS Search." For problems with ADAMS, please contact the NRC's Public Document Room (PDR) reference staff at 1-800-397-4209, 301-415-4737, or by e-mail to pdr.resource@ nrc.gov. The ADAMS accession number for each document referenced in this notice (if Jhat document is available in ADAMS) is provided the first time that a document is referenced. The application for amendment, dated July 5, 2012, is available electronically under ADAMS Accession No. ML13015A089.
The application for amendment, dated July 5, 2012, is available electronically under ADAMS Accession No. ML 13015A089.
* NRC's PDR: You may examine and purchase copies of public documents at the NRC's PDR, Room 01-F21, One White Flint North, 11555 Rockville Pike, Rockville, Maryland 20852.
* NRC's PDR: You may examine and purchase copies of public documents at the NRC's PDR, Room 01-F21, One White Flint North, 11555 Rockville Pike, Rockville, Maryland 20852. SUPPLEMENTARY INFORMATION:
SUPPLEMENTARY INFORMATION:
I. Introduction  
I.     Introduction
' The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company, (SNC, the licensee) for operation of the Edwin I. Hatch Nuclear Plant I (HNP), Units 1 and 2, located in Appling County, Georgia, in accordance with Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.90. Therefore, as required by 10 CFR 51.21, the NRC staff performed an environmental assessment to document its findings.
      ' The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company, (SNC, the licensee) for operation of the Edwin I. Hatch Nuclear Plant I
SNC previously submitted its license amendment request by letter dated December 15, 2011 (ADAMS Accession No. ML 1135001 08) and subsequently withdrew it by letter dated April 20, 2012 (ADAMS Accession No. ML 12122A 113). Based on information provided in SNC's resubmittal, dated July 5, 2012 (ADAMS Accession No. ML 13015A089), SNC's response to NRC's request for additional information, dated October 10, 2012 (ADAMS Accession No.   ' ML 12284A299), and the NRC staff's independent review of references, the NRC did not identify any significant environmental impacts associated with the proposed license amendment.
(HNP), Units 1 and 2, located in Appling County, Georgia, in accordance with Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.90. Therefore, as required by 10 CFR 51.21, the NRC staff performed an environmental assessment to document its findings. SNC previously submitted its license amendment request by letter dated December 15, 2011 (ADAMS Accession No. ML113500108) and subsequently withdrew it by letter dated April 20, 2012 (ADAMS Accession No. ML12122A113). Based on information provided in SNC's resubmittal, dated July 5, 2012 (ADAMS Accession No. ML13015A089), SNC's response to NRC's request for additional information, dated October 10, 2012 (ADAMS Accession No.
Based on the results of the environmental assessment documented herein, the NRC is issuing this Finding of No Significant Impact (FONSI), in accordance with 10 CFR 51.32, for the proposed license amendment.  
 
\ II. Environmental Assessment Plant Site and Environs:
ML12284A299), and the NRC staff's independent review of references, the NRC did not identify any significant environmental impacts associated with the proposed license amendment.
The HNP is located in Appling County, Georgia, southeast of where U.S. Highway 1 crosses the Altamaha River, in a rural part of the state. It is located approximately 11 miles (mi) (18 kilometers  
Based on the results of the environmental assessment documented herein, the NRC is issuing this Finding of No Significant Impact (FONSI), in accordance with 10 CFR 51.32, for the proposed license amendment.
[km]) north of Baxley, Georgia; 20 mi (32 km) south of Vidalia, Georgia; 98 mi *-' (160 km) southeast of Macon, Georgia; 73 mi (120 km) northwest of Brunswick, Georgia; and 67 mi (1 07 km) southwest of Savannah, Georgia. The HNP site totals approximately 2,240 acres (ac) (91 0 hectares [ha]). The plant has two boiling-water reactors with steam-electric turbines manufactured by General Electric Company. Following the approval and completion of the latest extended power uprate in 2003, HPN, Units 1 and 2, have an electrical power output of 935 and 950 megawatts-electric (MW[e]), respectively (ADAMS Accession Nos. ML032671231 and ML032691360).
                                                                          \
HNP uses a closed-loop, cooling tower system for main condenser cooling that withdraws makeup water from and discharges to the Altamaha River via shoreline intake and offshore discharge structures.
II.     Environmental Assessment Plant Site and Environs:
Identification of the Proposed Action: The proposed action would amend Appendix A of HNP's Renewed Facility Operating  
The HNP is located in Appling County, Georgia, southeast of where U.S. Highway 1 crosses the Altamaha River, in a rural part of the state. It is located approximately 11 miles (mi)
' Licenses in order to revise the minimum water level referenced in Technical Specification (TS)   Surveillance Requirement (SR) 3.7.2.1 associated with the Limiting Condition for Operation (LCO) for the plant service water (PSW) system and ultimate heat sink (UHS). Specifically, SNC proposes a TS change to revise the minimum water level in the PSW pump well, as required by SR 3.7.2.1, from 60.7 feet (ft) (18.5 meters [m])-to 60.5 ft (18.4 m) mean sea level. As stated by SNC, the proposed TS change does not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents.
(18 kilometers [km]) north of Baxley, Georgia; 20 mi (32 km) south of Vidalia, Georgia; 98 mi (160 km) southeast of Macon, Georgia; 73 mi (120 km) northwest of Brunswick, Georgia; and 67 mi (1 07 km) southwest of Savannah, Georgia. The HNP site totals approximately 2,240 acres (ac) (91 0 hectares [ha]). The plant has two boiling-water reactors with steam-electric turbines manufactured by General Electric Company. Following the approval and completion of the latest extended power uprate in 2003, HPN, Units 1 and 2, have an electrical power output of 935 and 950 megawatts-electric (MW[e]), respectively (ADAMS Accession Nos.
The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely. The licensee proposes to implement the proposed operational changes within 60 days of NRC's issuing the requested amendment.
ML032671231 and ML032691360). HNP uses a closed-loop, cooling tower system for main condenser cooling that withdraws makeup water from and discharges to the Altamaha River via shoreline intake and offshore discharge structures.
The Need for the Proposed Action: The proposed action is needed to provide SNC with additional operational flexibility during periods of low river levels to avoid a plant shutdown, while providing sufficient availability , of water to support post-accident cooling requirements for a 30-day period. Environmental Impacts of the Proposed Action: As part of the original licensing process for HNP, Units 1 and 2, the NRC published Final Environmental Statements (FES) for Hatch, Units 1 and 2, in October 1972 and a separate FES for Unit 2 in March 1978. The FESs project potential environmental impacts associated with the operation of HNP over its initial operating period. In 2001, the NRC evaluated the environmental impacts of operating HNP for an additional 20 years beyond the original operating license and predicted that the environmental impacts of license renewal were small. The NRC's evaluation of ongoing operational impacts under the renewed license is presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2-Final Report (NUREG-1437, Supplement  
Identification of the Proposed Action:
: 4) dated   May 2001 (ADAMS Accession No. ML011420018).
The proposed action would amend Appendix A of HNP's Renewed Facility Operating Licenses in order to revise the minimum water level referenced in Technical Specification (TS)
This document is the primary source of information presented in this environmental assessment, unless otherwise referenced.
 
The NRC staff considered information from SNC's license amendment request, the licensee's response to NRC staff's request for additional information, and NUREG-1437, Supplement 4 in preparing this environmental assessment.
Surveillance Requirement (SR) 3.7.2.1 associated with the Limiting Condition for Operation (LCO) for the plant service water (PSW) system and ultimate heat sink (UHS). Specifically, SNC proposes a TS change to revise the minimum water level in the PSW pump well, as required by SR 3.7.2.1, from 60.7 feet (ft) (18.5 meters [m])-to 60.5 ft (18.4 m) mean sea level.
In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents.
As stated by SNC, the proposed TS change does not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely. The licensee proposes to implement the proposed operational changes within 60 days of NRC's issuing the requested amendment.
Further, the proposed license amendment involves a TS change that would only result in changes in procedural and operational aspects undertaken by HNP personnel for monitoring and maintaining the minimum water level in the PSW pump well. Thus, HNP's workforce would not change, and the regular operations workforce would otherwise be unaffected by the proposed action. Based on the above and the available information reviewed by the staff, the NRC concludes that no significant impact on land use and visual resources, geologic environment, air quality and noise, historic and cultural resources, socioeconomic conditions including environmental justice, or waste generation and management activities would occur near HNP from granting the proposed license amendment.
The Need for the Proposed Action:
The proposed action is needed to provide SNC with additional operational flexibility during periods of low river levels to avoid a plant shutdown, while providing sufficient availability ,
of water to support post-accident cooling requirements for a 30-day period.
Environmental Impacts of the Proposed Action:
As part of the original licensing process for HNP, Units 1 and 2, the NRC published Final Environmental Statements (FES) for Hatch, Units 1 and 2, in October 1972 and a separate FES for Unit 2 in March 1978. The FESs project potential environmental impacts associated with the operation of HNP over its initial operating period. In 2001, the NRC evaluated the environmental impacts of operating HNP for an additional 20 years beyond the original operating license and predicted that the environmental impacts of license renewal were small.
The NRC's evaluation of ongoing operational impacts under the renewed license is presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2- Final Report (NUREG-1437, Supplement 4) dated
 
May 2001 (ADAMS Accession No. ML011420018). This document is the primary source of information presented in this environmental assessment, unless otherwise referenced.
The NRC staff considered information from SNC's license amendment request, the licensee's response to NRC staff's request for additional information, and NUREG-1437, Supplement 4 in preparing this environmental assessment. In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. Further, the proposed license amendment involves a TS change that would only result in changes in procedural and operational aspects undertaken by HNP personnel for monitoring and maintaining the minimum water level in the PSW pump well.
Thus, HNP's workforce would not change, and the regular operations workforce would otherwise be unaffected by the proposed action. Based on the above and the available information reviewed by the staff, the NRC concludes that no significant impact on land use and visual resources, geologic environment, air quality and noise, historic and cultural resources, socioeconomic conditions including environmental justice, or waste generation and management activities would occur near HNP from granting the proposed license amendment.
Therefore, operational impacts on these resources are not further discussed in this environmental assessment for the purposes of evaluating SNC's proposed license amendment.
Therefore, operational impacts on these resources are not further discussed in this environmental assessment for the purposes of evaluating SNC's proposed license amendment.
NUREG-1437, Supplement 4 previously assessed the environmental impacts of continued operations of HNP, Units 1 and 2. As identified in the evaluation performed by the licensee in support of its application, implementation of the TS change in the minimum water level in the PSW pump well to 60.5 ft (18.4 m) mean sea level for normal cooling water withdrawals result in associated operational and receiving water changes. These include the following:  
NUREG-1437, Supplement 4 previously assessed the environmental impacts of continued operations of HNP, Units 1 and 2.
(1) an altered discharge plume mixing zone, (2) altered discharge dilution for liquid radwaste discharges, and (3) an   increased through-screen velocity at the river intake traveling screens, with an increased percentage of the river diverted through the plant. With regard to the proposed lowering of the minimum water level in the PSW pump well and associated receiving water changes, the sections below evaluate and describe the aspects and potential impacts on the environment and on specific resource conditions that could result from implementation of the proposed license amendment.
As identified in the evaluation performed by the licensee in support of its application, implementation of the TS change in the minimum water level in the PSW pump well to 60.5 ft (18.4 m) mean sea level for normal cooling water withdrawals   ~ould  result in associated operational and receiving water changes. These include the following: (1) an altered discharge plume mixing zone, (2) altered discharge dilution for liquid radwaste discharges, and (3) an
The details of the NRC staff's safety evaluation will be separately provided in the license amendment package issued to approve the license amendment, if granted. Non-radiological Impacts: Surface Water Resources:
The Altamaha River is the major source of water for HNP. The Altamaha River is approximately 500ft (150 *m) wide and a maximum of 30ft (9 m) deep at HNP. The shoreline of the Altamaha River near HNP and immediately downstream for several miles is characterized by steep bluffs, floodplain forests, and sandbars.
The river remains relatively undisturbed and has no major channelization, dredging, or major reservoirs.
The U.S. Geological Survey (USGS) maintains a stream gaging station (Number 02225000, Altamaha River near Baxley, GA) on the right bank of the river about 400 ft (121 m) downstream from the U.S. Highway 1 bridge, approximately 530ft (160 m) upstream from HNP. Based on 63 years of record, the average annual flow rate at this station is 10,820 cubic feet per second (cfs) (305.6 cubic meters per second [m 3/s]). Highest monthly flows normally occur in March and lowest monthly flows normally occur in September.
The single day low flow (minimum daily mean flow) recorded to date at this gage occurred on September 19, 2011, with a discharge of 1,140 cfs (32.2 m 3/s). Water is withdrawn from the river to provide cooling for certain once-through loads and makeup water to the cooling towers. SNC is permitted (Georgia Department of Natural \  Resources
[GADNR] Permit 001-0690-01, expiration date April 7, 2020) to withdraw a monthly average of up to 85 million gallons per day (mgd) (322,000 cubic meters per day [m 3/d]), with a maximum 24-hour rate of up to 103.6 mgd (392,200 m 3/d). As a condition of this permit, SNC is required to monitor and report withdrawals.
As.documented in NUREG-1437, Supplement 4, HNP reported surface water withdraws averaging 57 mgd (216,000 m 3/d). Based on the most recent reported withdrawals for the period 2007 to 2011, HNP withdraws an annual average of 56.7 mgd (214,600 m 3/d) of water), an equivalent withdraw rate of 87.7 cfs (2.48 m 3/s). HNP's r annual average withdrawal rate is approximately


===0.8 percent===
increased through-screen velocity at the river intake traveling screens, with an increased percentage of the river diverted through the plant. With regard to the proposed lowering of the minimum water level in the PSW pump well and associated receiving water changes, the sections below evaluate and describe the aspects and potential impacts on the environment and on specific resource conditions that could result from implementation of the proposed license amendment.
of the annual average flow of the Altamaha River and about 7.7 percent of the single day low flow, as discussed above. As also documented in NUREG-1437, Supplement 4, approximately 58 percent of the water withdrawn by HNP for all uses is consumptively used in HNP's cooling towers and by other processes, with the balance (about 42 percent) discharged back to the river. Additionally, as part of its application for the proposed TS change, SNC submitted a discharge rating calculation and rating table, which shows the discharge of the Altamaha River at specific river elevations as adjusted for the water elevation at the PSW pump well (inside the HNP intake). The analysis performed by SNC indicates that continued surface water withdrawals at the proposed PSW well minimum water level of 60.5 ft (18.4 m), and equating to a river low flow of 718 cfs (20.3 m 3/s), would provide sufficient water supply to meet HNP's 30-day TS requirements for safe-shutdown cooling under extended low river flow conditions.
The details of the NRC staff's safety evaluation will be separately provided in the license amendment package issued to approve the license amendment, if granted.
SNC's analysis further shows that sufficient water would be available at a minimum water level of 60.0 ft (18.3 m), ref!ecting a river low flow of 517 cfs (14.6 m 3/s).
Non-radiological Impacts:
* As also documented in the licensee's application (ADAMS Accession No. ML 13015A089), SNC enlisted the USGS to
Surface Water Resources:
* perform an independent review of SNC's flow rating calculation.
The Altamaha River is the major source of water for HNP. The Altamaha River is approximately 500ft (150 *m) wide and a maximum of 30ft (9 m) deep at HNP. The shoreline of the Altamaha River near HNP and immediately downstream for several miles is characterized by steep bluffs, floodplain forests, and sandbars. The river remains relatively undisturbed and has no major channelization, dredging, or major reservoirs. The U.S. Geological Survey (USGS) maintains a stream gaging station (Number 02225000, Altamaha River near Baxley, GA) on the right bank of the river about 400 ft (121 m) downstream from the U.S. Highway 1 bridge, approximately 530ft (160 m) upstream from HNP. Based on 63 years of record, the average annual flow rate at this station is 10,820 cubic feet per second (cfs) (305.6 cubic meters per second [m 3/s]). Highest monthly flows normally occur in March and lowest monthly flows normally occur in September. The single day low flow (minimum daily mean flow) recorded to date at this gage occurred on September 19, 2011, with a discharge of 1,140 cfs (32.2 m 3/s).
As documented in correspondence to SNC dated March 2, 2009, the USGS found SNC's calculations and methods to predict stream flow over extended low flow conditions on the Altamaha River to be  "conservative and satisfactory" to address SNC's objective of verifying sufficient water supply at low river flows. USGS performed a low-flow probability analysis of the river stage-discharge relationship for the referenced gaging station, as adjusted for the elevation drop between USGS gage elevation and the HNP intake. Using a calculated low flow with a 0.002 non-exceedance probability (a flow with an annual probability of about.1 in 500) which is equivalent to 1,104 cfs (31.2 m 3/s), the USGS analysis yielded a conservative (bounding-case) surface water level elevation at HNP's intake of61.02 ft (18.6 m). This level would be above the proposed PSW well minimum water level of 60.5 ft (18.4 m). It is noted that USGS calculated its 500-year recurrence low flow value using daily low flow statistics for the period of 1972 to 2008. Up to that time, the minimum daily mean flow observed was 1,330 cfs (37.6 m 3/s) on September 29, 2008, until the observed record daily mean low flow on September 19, 2011, at 1,140 cfs (32.2 Nevertheless, SNC's analyses for its license amendment request demonstrate that the proposed operational change could support continued surface watE(r withdrawals with sufficient margin, under low flow conditions, at a river level that is 0.2 ft (0.06 m) lower than evaluated in NUREG-1437, Supplement
Water is withdrawn from the river to provide cooling for certain once-through loads and makeup water to the cooling towers. SNC is permitted (Georgia Department of Natural
: 4. The staff's analysis presented in NUREG-1437, Supplement 4 documented average annual surface water elevation fluctuations of about 9ft (2.7 m) for the same one-month period over a period of 22 years and further concluded that surface water use conflicts from HNP's consumptive water use were small. While the proposed TS change would lower the minimum water level in the PSW pump well at which surface water would continue to be withdrawn for HNP operations, no increase in the volume of surface water withdrawn would occur, and no modification to HNP's state-issued surface water withdrawal permit is required (ADAMS Accession No. ML 12284A299).
                                                        \
Based on the above, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water hydrology of the Altamaha River. HNP is operated under a National Pollutant Discharge Elimination System (NPDES) permit (No. GA0004120), issued by the Georgia Environmental Protection Division, which permits the discharge of combined process wastewaters including cooling tower.blowdown to the Altamaha River. The NPDES permit expired on June 30, 2012, but has been administratively continued by the State and remains valid and in effect, since SNC submitted an NPDES renewal application over 180 days before permit expiration (ADAMS Accession No. ML 12284A299).
 
As described in NUREG-1437, Supplement 4, HNP's combined discharge structure consists of two, submerged discharge lines that extend approximately 120 ft (37 m) out from the south shore at an elevation of 54ft (17 m) mean sea level. The point of discharge is 1,260 ft (380m) downriver from the intake structure and approximately 4ft (1.2 m) below the surface when the river is at low water (see NUREG-1437, Supplement 4). The permit sets effluent limits for several other parameters (e.g., oil and grease, total suspended solids, and metals) but the point of compliance is specified at internal outfalls and prior to mixing and discharge through the combined discharge structure.
Resources [GADNR] Permit 001-0690-01, expiration date April 7, 2020) to withdraw a monthly average of up to 85 million gallons per day (mgd) (322,000 cubic meters per day [m 3/d]), with a maximum 24-hour rate of up to 103.6 mgd (392,200 m3/d). As a condition of this permit, SNC is required to monitor and report withdrawals. As.documented in NUREG-1437, Supplement 4, HNP reported surface water withdraws averaging 57 mgd (216,000 m3/d). Based on the most recent reported withdrawals for the period 2007 to 2011, HNP withdraws an annual average of 56.7 mgd (214,600 m3/d) of water), an equivalent withdraw rate of 87.7 cfs (2.48 m3/s). HNP's r
The permit does not impose a maximum temperature limit on the combined river discharge but does require weekly temperature monitoring at the point of mixing and quarterly reporting of discharge temperatures to the State of Georgia. The permit further stipulates compliance with NRC requirements relative to radiological constituents.
annual average withdrawal rate is approximately 0.8 percent of the annual average flow of the Altamaha River and about 7.7 percent of the        hi~toric single day low flow, as discussed above.
The water quality of the Altamaha River on which the HNP is located is also subject to regulation in accordance with Georgia's Use Classifications and Water Quality Standards (Chapter 391-3-6-.03 of the State's Rules and Regulations).
As also documented in NUREG-1437, Supplement 4, approximately 58 percent of the water withdrawn by HNP for all uses is consumptively used in HNP's cooling towers and by other processes, with the balance (about 42 percent) discharged back to the river.
For all waters in the State of Georgia, except where more stringent criteria apply, receiving water tempe,ratures are not to exceed 90 degrees Fahrenheit rF) (32 degrees Centigrade
Additionally, as part of its application for the proposed TS change, SNC submitted a discharge rating calculation and rating table, which shows the discharge of the Altamaha River at specific river elevations as adjusted for the water elevation at the PSW pump well (inside the HNP intake). The analysis performed by SNC indicates that continued surface water withdrawals at the proposed PSW well minimum water level of 60.5 ft (18.4 m), and equating to a river low flow of 718 cfs (20.3 m3/s), would provide sufficient water supply to meet HNP's 30-day TS requirements for safe-shutdown cooling under extended low river flow conditions.
[°C]) and the temperature of receiving waters is not to be increased more than 5 OF (2.8 oq above the intake temperature. In support of its application, SNC performed a computer modeling study using CORMIX (version 5.0) and associated river bottom survey to evaluate the potential environmental impacts of operating HNP at the proposed minimum water level of 60.5 ft (18.4 m). In summary, this modeling incorporated ambient river temperature conditions for summer and winter and utilized historical river and HNP discharge flow rates. Based on the modeling performed including incorporation of an assumed ambient river temperature of 97 oF (36 °C), the projected discharge plume temperature difference from ambient was calculated to be 2.5 oF (1.4 °C) or less at a distance of 140ft (42.7 m) downstream from the point of discharge.
SNC's analysis further shows that sufficient water would be available at a minimum water level of 60.0 ft (18.3 m), ref!ecting a river low flow of 517 cfs (14.6 m3/s).
The modeling results obtained by SNC indicate that State and Federal ambient water quality criteria and discharge standards would continue to be satisfied with respect to HNP's discharges to the Altamaha River. Consequently, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water quality and thermal characteristics of the Altamaha River. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations.
* As also documented in the licensee's application (ADAMS Accession No. ML13015A089), SNC enlisted the USGS to
Therefore, there would be no significant adverse surface water resource impacts following implementation of the proposed operational change. Groundwater Resources:
* perform an independent review of SNC's flow rating calculation. As documented in correspondence to SNC dated March 2, 2009, the USGS found SNC's calculations and methods to predict stream flow over extended low flow conditions on the Altamaha River to be
 
                                                "conservative and satisfactory" to address SNC's objective of verifying sufficient water supply at low river flows. USGS performed a low-flow probability analysis of the river stage-discharge relationship for the referenced gaging station, as adjusted for the elevation drop between USGS gage elevation and the HNP intake. Using a calculated low flow with a 0.002 non-exceedance probability (a flow with an annual probability of about.1 in 500) which is equivalent to 1,104 cfs (31.2 m 3/s), the USGS analysis yielded a conservative (bounding-case) surface water level elevation at HNP's intake of61.02 ft (18.6 m). This level would be above the proposed PSW well minimum water level of 60.5 ft (18.4 m). It is noted that USGS calculated its 500-year recurrence low flow value using daily low flow statistics for the period of 1972 to 2008. Up to that time, the minimum daily mean flow observed was 1,330 cfs (37.6 m3/s) on September 29, 2008, until the observed record daily mean low flow on September 19, 2011, at 1,140 cfs (32.2 m3/~).
Nevertheless, SNC's analyses for its license amendment request demonstrate that the proposed operational change could support continued surface watE(r withdrawals with sufficient margin, under low flow conditions, at a river level that is 0.2 ft (0.06 m) lower than evaluated in NUREG-1437, Supplement 4. The staff's analysis presented in NUREG-1437, Supplement 4 documented average annual surface water elevation fluctuations of about 9ft (2.7 m) for the same one-month period over a period of 22 years and further concluded that surface water use conflicts from HNP's consumptive water use were small. While the proposed TS change would lower the minimum water level in the PSW pump well at which surface water would continue to be withdrawn for HNP operations, no increase in the volume of surface water withdrawn would occur, and no modification to HNP's state-issued surface water withdrawal permit is required (ADAMS Accession No. ML12284A299). Based on the above, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water hydrology of the Altamaha River.
 
HNP is operated under a National Pollutant Discharge Elimination System (NPDES) permit (No. GA0004120), issued by the Georgia Environmental Protection Division, which permits the discharge of combined process wastewaters including cooling tower.blowdown to the Altamaha River. The NPDES permit expired on June 30, 2012, but has been administratively continued by the State and remains valid and in effect, since SNC submitted an NPDES renewal application over 180 days before permit expiration (ADAMS Accession No. ML12284A299).
As described in NUREG-1437, Supplement 4, HNP's combined discharge structure consists of two, submerged discharge lines that extend approximately 120 ft (37 m) out from the south shore at an elevation of 54ft (17 m) mean sea level. The point of discharge is 1,260 ft (380m) downriver from the intake structure and approximately 4ft (1.2 m) below the surface when the river is at low water (see NUREG-1437, Supplement 4). The permit sets effluent limits for several other parameters (e.g., oil and grease, total suspended solids, and metals) but the point of compliance is specified at internal outfalls and prior to mixing and discharge through the combined discharge structure. The permit does not impose a maximum temperature limit on the combined river discharge but does require weekly temperature monitoring at the point of mixing and quarterly reporting of discharge temperatures to the State of Georgia. The permit further stipulates compliance with NRC requirements relative to radiological constituents. The water quality of the Altamaha River on which the HNP is located is also subject to regulation in accordance with Georgia's    ~ater Use Classifications and Water Quality Standards (Chapter 391-3-6-.03 of the State's Rules and Regulations). For all waters in the State of Georgia, except where more stringent criteria apply, receiving water tempe,ratures are not to exceed 90 degrees Fahrenheit rF) (32 degrees Centigrade [°C]) and the temperature of receiving waters is not to be increased more than 5 OF (2.8    oq above the intake temperature.
 
In support of its application, SNC performed a computer modeling study using CORMIX (version 5.0) and associated river bottom survey to evaluate the potential environmental impacts of operating HNP at the proposed minimum water level of 60.5 ft (18.4 m). In summary, this modeling incorporated ambient river temperature conditions for summer and winter and utilized historical river and HNP discharge flow rates. Based on the modeling performed including incorporation of an assumed ambient river temperature of 97 oF (36 °C), the projected discharge plume temperature difference from ambient was calculated to be 2.5 oF (1.4 °C) or less at a distance of 140ft (42.7 m) downstream from the point of discharge. The modeling results obtained by SNC indicate that State and Federal ambient water quality criteria and discharge standards would continue to be satisfied with respect to HNP's discharges to the Altamaha River. Consequently, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water quality and thermal characteristics of the Altamaha River. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations. Therefore, there would be no significant adverse surface water resource impacts following implementation of the proposed operational change.
Groundwater Resources:
The alluvial (unconfined) aquifer at the site is primarily south of the Altamaha River within the facility boundary, and consists of approximately 55ft (17m) of poorly sorted sand, gravel, and clay. The alluvial aquifer contains groundwater under water table conditions.
The alluvial (unconfined) aquifer at the site is primarily south of the Altamaha River within the facility boundary, and consists of approximately 55ft (17m) of poorly sorted sand, gravel, and clay. The alluvial aquifer contains groundwater under water table conditions.
Clayey soils dominate in the upper portion of the aquifer. These high-clay-content soils locally form a discontinuous, relatively impermeable zone. Recharge to the alluvial aquifer is by the infiltration of precipitation through and around the leaky clay zones. Limited recharge is also provided by the Altamaha River during high stages and by the minor confined aquifer of the   Hawthorn Formation, to which the alluvium is hydraulically connected.
Clayey soils dominate in the upper portion of the aquifer. These high-clay-content soils locally form a discontinuous, relatively impermeable zone. Recharge to the alluvial aquifer is by the infiltration of precipitation through and around the leaky clay zones.     Limited recharge is also provided by the Altamaha River during high stages and by the minor confined aquifer of the
The upper, alluvial aquifer and the minor confined aquifer are hydraulically separated from the underlying artesian (Floridan) aquifer from which HNP's supply wells withdraw groundwater for plant use. Within the immediate vicinity of the site, the primary use of groundwater is for domestic needs, with a limited amount for livestock.
 
Most domestic wells are screened within the unconfined aquifer. As evaluated in NUREG-1437:
Hawthorn Formation, to which the alluvium is hydraulically connected. The upper, alluvial aquifer and the minor confined aquifer are hydraulically separated from the underlying artesian (Floridan) aquifer from which HNP's supply wells withdraw groundwater for plant use. Within the immediate vicinity of the site, the primary use of groundwater is for domestic needs, with a limited amount for livestock. Most domestic wells are screened within the unconfined aquifer.
Supplement 4, the staff determined that the consumptive use of surface water by HNP operations is estimated to lower the river elevation by 0.08 ft (0.02*m) during low-flow conditions.
As evaluated in NUREG-1437: Supplement 4, the staff determined that the consumptive use of surface water by HNP operations is estimated to lower the river elevation by 0.08 ft (0.02*m) during low-flow conditions. It was concluded that the consumptive use would not appreciably alter the potentiometric gradient in the alluvial aquifer and that the resulting impact on groundwater is small.
It was concluded that the consumptive use would not appreciably alter the potentiometric gradient in the alluvial aquifer and that the resulting impact on groundwater is small. \ The withdrawal of surface water at a river level that is 0.2 ft (0.06 m) lower than the current minimum water level in the PSW pump well would have a negligible impact on groundwater resources.
                            \
This is because the proposed change would not be expected to substantially affect the contribution of groundwater base flow from the alluvial aquifer to the Altamaha River, or the availability of groundwater for other users. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations.
The withdrawal of surface water at a river level that is 0.2 ft (0.06 m) lower than the current minimum water level in the PSW pump well would have a negligible impact on groundwater resources. This is because the proposed change would not be expected to substantially affect the contribution of groundwater base flow from the alluvial aquifer to the Altamaha River, or the availability of groundwater for other users. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations. Therefore, there would be no significant adverse groundwater resource impacts from lowering the minimum water level in the PSW pump well as proposed by SNC.
Therefore, there would be no significant adverse groundwater resource impacts from lowering the minimum water level in the PSW pump well as proposed by SNC. ( Aquatic Resources:
(
The Altamaha River is formed by the confluence of the Ocmulgee and Oconee Rivers, which drain the Piedmont Region, and flows about 153 mi (246 km) to the Atlantic Ocean near Darien, Georgia. The drainage area is about 2,850 mi 2 (7,380 km 2), and lies entirely in the State of Georgia. The main stem of the river is confined to the Coastal Plain Physiographic Province, has no dams, and supports a healthy aquatic ecosystem. The fish fauna is diverse and includes 93 species belonging to 25 different families.
Aquatic Resources:
Common resident taxa include members of the catfish family (lctaluridae), such as channel catfish and flathead catfish; and members of the sunfish family (Centrarchidae), including redbreast sunfish (Lepomis auritus), bluegill (L macrochirus), redear sunfish (L micro/ophus), black crappie (Pomixis nigromacu/atus), and largemouth bass (Micropterus salmoides);
The Altamaha River is formed by the confluence of the Ocmulgee and Oconee Rivers, which drain the Piedmont Region, and flows about 153 mi (246 km) to the Atlantic Ocean near Darien, Georgia. The drainage area is about 2,850 mi 2 (7,380 km 2 ), and lies entirely in the State of Georgia. The main stem of the river is confined to the Coastal Plain Physiographic Province, has no dams, and supports a healthy aquatic ecosystem.
minnows (Cyprinidae);
 
and suckers (Catostomidae).
The fish fauna is diverse and includes 93 species belonging to 25 different families.
Flathead catfish are not endemic, but where introduced in the 1970s, and their increase has resulted in a decrease in populations of some native species, such as bullhead catfishes (lctalurus spp.) and redbreast sunfish. The fish community seasonally includes anadromous herring (Ciupeidae) and sturgeon (Acipenseridae) species that ascend rivers from the sea to breed, including American shad (Aiosa sapidissima), hickory shad (A. mediocris), blueback herring (A. aestivalis), and both shortnose (Acipenser brevirostum) and Atlantic sturgeon (A. oxyrhynchus).
Common resident taxa include members of the catfish family (lctaluridae), such as channel catfish and flathead catfish; and members of the sunfish family (Centrarchidae), including redbreast sunfish (Lepomis auritus), bluegill (L macrochirus), redear sunfish (L micro/ophus),
Other aquatic invertebrates include cottonmouth or water moccasin (Agkistrodon piscivorus);
black crappie (Pomixis nigromacu/atus), and largemouth bass (Micropterus salmoides);
water snakes (Nerodia spp.); turtles, including softshell turtles (Apalone spp.) and river cooter (Pseudemys concinna);
minnows (Cyprinidae); and suckers (Catostomidae). Flathead catfish are not endemic, but where introduced in the 1970s, and their increase has resulted in a decrease in populations of some native species, such as bullhead catfishes (lctalurus spp.) and redbreast sunfish. The fish community seasonally includes anadromous herring (Ciupeidae) and sturgeon (Acipenseridae) species that ascend rivers from the sea to breed, including American shad (Aiosa sapidissima),
American alligator (Alligator mississippiensis);
hickory shad (A. mediocris), blueback herring (A. aestivalis), and both shortnose (Acipenser brevirostum) and Atlantic sturgeon (A. oxyrhynchus).
frogs; salamanders; and mammals, such as West Indian manatee (Trichechus manatus), muskrat ( Ondatra zibethicus), river otter (Lontra canadensis), and beaver (Castor canadensis).
Other aquatic invertebrates include cottonmouth or water moccasin (Agkistrodon piscivorus); water snakes (Nerodia spp.); turtles, including softshell turtles (Apalone spp.) and river cooter (Pseudemys concinna); American alligator (Alligator mississippiensis); frogs; salamanders; and mammals, such as West Indian manatee (Trichechus manatus), muskrat
Common aquatic invertebrates include the aquatic life stages of insects such as caddisflies, mayflies, stoneflies, dragonflies, damselflies, hellgrammites, beetles, midges, and black flies. Aquatic invertebrates also include freshwater mussels (EIIiptio spp.) and the Asian clam corbicula (Corbicula fluminea), which is an invasive, non-native species. In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has one State-protected aquatic species: a freshwater mussel (Aiasmidonta arcula, Altamaha arcmussel).
( Ondatra zibethicus), river otter (Lontra canadensis), and beaver (Castor canadensis).
Asian clam populations have been increasing and may adversely affect the rare, native freshwater mussels by ingestion and displacement of juveniles. HNP has two nuclear units that use a closed-loop evaporative cooling system that withdraws from and discharges to the Altamaha River through a shoreline intake and offshore discharge structures at river mile [RM] 112 (river kilometer (RKm) 180),* slightly southeast of the U.S. Highway 1 crossing of the Altamaha River. Water withdrawn for the river at the single intake structure is used to replace evaporation and to dilute the buildup of dissolved solids in the closed cycle system. Trash racks remove large debris, and vertical traveling screens with a%-in. (1-cm) mesh remove smaller material.
Common aquatic invertebrates include the aquatic life stages of insects such as caddisflies, mayflies, stoneflies, dragonflies, damselflies, hellgrammites, beetles, midges, and black flies.
The proposed license amendment would not affect the rate of water withdrawal or discharge, but would slightly affect the intake velocity, and w_ould also affect the ratio of water ' withdrawn and discharged in relation to the river flow. The change in HNP's use of Altamaha River water for cooling and other purposes can affect aquatic resources through impingement of fish on intake screens, entrainment of smaller fish and invertebrates with the intake water, and discharge of heated wastewater.
Aquatic invertebrates also include freshwater mussels (EIIiptio spp.) and the Asian clam corbicula (Corbicula fluminea), which is an invasive, non-native species. In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has one State-protected aquatic species: a freshwater mussel (Aiasmidonta arcula, Altamaha arcmussel). Asian clam populations have been increasing and may adversely affect the rare, native freshwater mussels by ingestion and displacement of juveniles.
Only these effects are addressed here as specific to the proposed license amendment; other operational effects are addressed in NRC's NUREG-1437, Supplement  
 
: 4. Fish impingement rates are low, and SNC estimated that from 1975 through 1980 total fish impingement ranged from 146 to 438 fish per year. Entrainment rates of small fish and invertebrates are also low. SNC estimates that the hydraulic entrainment be about 11 percent of the river flow passing the plant under minimum flow conditions without the proposed license amendment and about 11.5 percent with the license amendment.
HNP has two nuclear units that use a closed-loop evaporative cooling system that withdraws from and discharges to the Altamaha River through a shoreline intake and offshore discharge structures at river mile [RM] 112 (river kilometer (RKm) 180),* slightly southeast of the U.S. Highway 1 crossing of the Altamaha River. Water withdrawn for the river at the single intake structure is used to replace evaporation and to dilute the buildup of dissolved solids in the closed cycle system. Trash racks remove large debris, and vertical traveling screens with a%-
With much of the heat produced by SNC transferred to the atmosphere through evaporation by the closed-loop cooling system, the discharge of heated wastewater in minimal. In support of its discharge permit for the State of Georgia, SNC modeled the thermal discharge under ambient river temperature conditions for summer and winter and historical river and HNP discharge flow rates. The calculated temperature difference between the discharge plume and ambient river temperature   was 2.5 oF (1.4 °C} orless at a distance of 140ft (42.7 m) downstream from the point.of discharge, with a plume surface area of 0.05 ac (0.02 ha) and a plume cross-sectional area 3 percent of the river cross-section.
in. (1-cm) mesh remove smaller material.
The State of Georgia, not the NRC, regulates the effects of the cooling water intake and discharge, and the NRC relies on the State to protect aquatic resources.
The proposed license amendment would not affect the rate of water withdrawal or discharge, but would slightly affect the intake velocity, and w_ould also affect the ratio of water withdrawn and discharged in relation to the river flow. The change in HNP's use of Altamaha River water for cooling and other purposes can affect aquatic resources through impingement of fish on intake screens, entrainment of smaller fish and invertebrates with the intake water, and discharge of heated wastewater. Only these effects are addressed here as specific to the proposed license amendment; other operational effects are addressed in NRC's NUREG-1437, Supplement 4.
Considering the above information, the NRC staff concludes that proposed license ', amendment would have no significant effects on aquatic resources.
Fish impingement rates are low, and SNC estimated that from 1975 through 1980 total fish impingement ranged from 146 to 438 fish per year. Entrainment rates of small fish and invertebrates are also low. SNC estimates that the hydraulic entrainment     wo~ld  be about 11 percent of the river flow passing the plant under minimum flow conditions without the proposed license amendment and about 11.5 percent with the license amendment. With much of the heat produced by SNC transferred to the atmosphere through evaporation by the closed-loop cooling system, the discharge of heated wastewater in minimal. In support of its discharge permit for the State of Georgia, SNC modeled the thermal discharge under ambient river temperature conditions for summer and winter and historical river and HNP discharge flow rates. The calculated temperature difference between the discharge plume and ambient river temperature
 
was 2.5 oF (1.4 °C} orless at a distance of 140ft (42.7 m) downstream from the point.of discharge, with a plume surface area of 0.05 ac (0.02 ha) and a plume cross-sectional area 3 percent of the river cross-section. The State of Georgia, not the NRC, regulates the effects of the cooling water intake and discharge, and the NRC relies on the State to protect aquatic resources. Considering the above information, the NRC staff concludes that proposed license amendment would have no significant effects on aquatic resources.
Terrestrial Resources:
Terrestrial Resources:
Like other Coastal Plain rivers and streams, the Altamaha River meanders across a broad floodplain that has both steep bluff-like features and wide swampy regions. Most of the river flows through mixed forest where evergreen oaks, laurel species, and magnolia are common. Riparian plants found along the river and in forested wetlands include swamp black gum (Nyssa sylvatica), water tupelo (N. aquatica), bald cypress (Taxodium distichum), water hickory ( Carya aquatica), red maple (Acer rubrum), sweetgum (Liquidambar styraciflua), and oaks (Querca spp.). The lower reaches flow through interior swamps and coastal marshes. In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has several State-protected terrestrial species. Georgia-protected animals include three birds (Aimophila aestivalis, Bachman's sparrow; Elanoides forficatus, swallow-tailed kite; and Haliaeetus  
Like other Coastal Plain rivers and streams, the Altamaha River meanders across a broad floodplain that has both steep bluff-like features and wide swampy regions. Most of the river flows through mixed forest where evergreen oaks, laurel species, and magnolia are common. Riparian plants found along the river and in forested wetlands include swamp black gum (Nyssa sylvatica), water tupelo (N. aquatica), bald cypress (Taxodium distichum), water hickory ( Carya aquatica), red maple (Acer rubrum), sweetgum (Liquidambar styraciflua), and oaks (Querca spp.). The lower reaches flow through interior swamps and coastal marshes.
/eucocephalus, bald eagle) and a mammal ( Corynorhinus rafinesquii, Rafinesque's big-eared bat). Six Georgia-protected plant species also occur in Appling County: Carex dasycarpa, velvet sedge; Marshal/ia ramosa, pineland Barbara buttons; Penstemon dissectus, cutleaf beardtongue; Sarracenia f/ava, yellow flytrap; Sarracenia minorvar.
In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has several State-protected terrestrial species. Georgia-protected animals include three birds (Aimophila aestivalis, Bachman's sparrow; Elanoides forficatus, swallow-tailed kite; and Haliaeetus /eucocephalus, bald eagle) and a mammal
minor, hooded pitcherplant; and Sideroxylon macrocarpum, Ohoopee bumelia. The proposed license amendment will not affect terrestrial habitats and so will have no adverse effects on terrestrial species or habitats.
( Corynorhinus rafinesquii, Rafinesque's big-eared bat). Six Georgia-protected plant species also occur in Appling County: Carex dasycarpa, velvet sedge; Marshal/ia ramosa, pineland Barbara buttons; Penstemon dissectus, cutleaf beardtongue; Sarracenia f/ava, yellow flytrap; Sarracenia minorvar. minor, hooded pitcherplant; and Sideroxylon macrocarpum, Ohoopee bumelia.
Federally Protected Species: Under Section 7 of the Endangered Species Act of 1973, as amended (ESA), Federal agencies, in consultation with the U.S. Fish and Wildlife Service (FWS) Or the National Marine Fisheries Service (NMFS) (as appropriate), must insure that any action the agency authorizes, funds, or carries out is not likely to jeopardize the continued existence of any listed species or result in the destruction or adverse modification of critical habitat. On August 31, 2000, the NRC submitted a biological assessment to NMFS regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon and concluded that license renewal may \ . affect, but is not likely to adversely affect, the shortnose sturgeon (ADAMS Accession No. ML003746456).
 
The NRC and NMFS then began consultation under ESA Section 7. The NMFS requested that NRC modify the biological assessment to include the effects of periodic maintenance dredging near the intake In July 2004, NRC submitted to NMFS a revised biological assessment that included more recent information and examined the effects of periodic dredging and that concluded that the HNP may affect, but is not likely to adversely affect the shortnose sturgeon and that the effects would be discountable (ADAMS Accession No. ML04191 0254). In August 2005, f'.:IMFS concurred with the conclusion of the biological assessment (ADAMS Access.ion No. ML052640354).
The proposed license amendment will not affect terrestrial habitats and so will have no adverse effects on terrestrial species or habitats.
Detailed information on the effects of HNP operations on shortnose sturgeon can be found in the referenced biological assessment j and concurrence documents.
Federally Protected Species:
In February 2012, the NRC asked the FWS to identify Federally listed species near HNP as part of reviewing SNC's proposed license amendment.
Under Section 7 of the Endangered Species Act of 1973, as amended (ESA), Federal agencies, in consultation with the U.S. Fish and Wildlife Service (FWS) Or the National Marine Fisheries Service (NMFS) (as appropriate), must insure that any action the agency authorizes, funds, or carries out is not likely to jeopardize the continued existence of any listed species or result in the destruction or adverse modification of critical habitat. On August 31, 2000, the NRC submitted a biological assessment to NMFS regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon and concluded that license renewal may
The FWS identified the four species shown in the following table as potentially occurring near HNP.
                \                     .
-' 16-Table of Federally Listed Species Occurring in Toombs County, Georgia Common Name Aquatic Invertebrates Altamaha spinymussel Reptiles eastern indigo snake gopher tortoise Fish Scientific Name Elliptio spinosa Drymarchon corais couperi Gopherus polyphemus ESA Status<a>
affect, but is not likely to adversely affect, the shortnose sturgeon (ADAMS Accession No. ML003746456). The NRC and NMFS then began consultation under ESA Section 7. The NMFS requested that NRC modify the biological assessment to include the effects of periodic maintenance dredging near the intake structure~ In July 2004, NRC submitted to NMFS a revised biological assessment that included more recent information and examined the effects of periodic dredging and that concluded that the HNP may affect, but is not likely to adversely affect the shortnose sturgeon and that the effects would be discountable (ADAMS Accession No. ML041910254). In August 2005, f'.:IMFS concurred with the conclusion of the biological assessment (ADAMS Access.ion No. ML052640354). Detailed information on the effects of HNP operations on shortnose sturgeon can be found in the referenced biological assessment j
E,H T c shortnose sturgeon Acipenser brevirostrum E {a) C = Candidate, E = Endangered, T =Threatened, H = Critical Habitat designated.
and concurrence documents.
Source: U.S. Fish and Wildlife Service (ADAMS Accession No. ML 13063A517).
In February 2012, the NRC asked the FWS to identify Federally listed species near HNP as part of reviewing SNC's proposed license amendment. The FWS identified the four species shown in the following table as potentially occurring near HNP.
 
                                                -' 16-Table of Federally Listed Species Occurring in Toombs County, Georgia Common Name                           Scientific Name                              ESA Status<a>
Aquatic Invertebrates Altamaha spinymussel                   Elliptio spinosa                                  E,H Reptiles eastern indigo snake                   Drymarchon corais couperi                           T gopher tortoise                        Gopherus polyphemus                                 c Fish shortnose sturgeon                     Acipenser brevirostrum                             E
{a) C = Candidate, E =Endangered, T =Threatened, H = Critical Habitat designated.
Source: U.S. Fish and Wildlife Service (ADAMS Accession No. ML13063A517).
Two of the four listed species, the gopher tortoise and eastern indigo snake, are terrestrial, and the proposed license amendment would have no adverse effect on these species because SNC proposes no modifications to the terrestrial environment.
Two of the four listed species, the gopher tortoise and eastern indigo snake, are terrestrial, and the proposed license amendment would have no adverse effect on these species because SNC proposes no modifications to the terrestrial environment.
The mechanisms by which HNP might adversely affect shortnose sturgeon include entraining eggs and early larvae, impinging juveniles and adults, discharging heated effluent that results in physiological or behavioral changes, and affecting prey and other biotic or abiotic constituents of the habitat. Regarding entrainment, the 2004 revised biological assessment found that "[b]oth the design of the plant (location, shoreline intake, closed cycle cooling) and the behavioral characteristics of juvenile and adult shortnose sturgeon lead to the conclusion that impingement of healthy adult and juvenile fish unlikely." For impingement, it found that "[t]he design and location of the plant (shoreline intake on the opposite side of the thalweg, closed cycle cooling, and the plant not located in any known spawning areas) and the lack of a   confirmed upstream spawning grounds leads the staff to conclude that the site has a very low potential for entrainment of shortnose sturgeon larvae." Regarding the thermal effluent, it found that" ... thermal modeling of the discharge demonstrated that thermal blockage of the river will not occur" and that "[t]he area of temperature rise in the river of a few degrees is limited to a small area just below the outfall even during low flow conditions" so that" ... thermal discharges from the plant will not adversely affect the migration of shortnose sturgeon in the Altamaha River." The relatively small and infrequent increase in intake velocity that may result from the proposed change in the minimum water level in the PSW pump well should not alter the conclusions regarding entrainment or impingement.
The mechanisms by which HNP might adversely affect shortnose sturgeon include entraining eggs and early larvae, impinging juveniles and adults, discharging heated effluent that results in physiological or behavioral changes, and affecting prey and other biotic or abiotic constituents of the habitat. Regarding entrainment, the 2004 revised biological assessment found that "[b]oth the design of the plant (location, shoreline intake, closed cycle cooling) and the behavioral characteristics of juvenile and adult shortnose sturgeon lead to the conclusion that impingement of healthy adult and juvenile fish unlikely." For impingement, it found that
The characteristics of the thermal effluent during extreme low river flow would change, but SNC reports that the effluent should still comply with the NPDES-permitted limits authorized and monitored by the State of Georgia to protect aquatic resources, including shortnose sturgeon.
"[t]he design and location of the plant (shoreline intake on the opposite side of the thalweg, closed cycle cooling, and the plant not located in any known spawning areas) and the lack of a
 
confirmed upstream spawning grounds leads the staff to conclude that the site has a very low potential for entrainment of shortnose sturgeon larvae." Regarding the thermal effluent, it found that" ... thermal modeling of the discharge demonstrated that thermal blockage of the river will not occur" and that "[t]he area of temperature rise in the river of a few degrees is limited to a small area just below the outfall even during low flow conditions" so that" ... thermal discharges from the plant will not adversely affect the migration of shortnose sturgeon in the Altamaha River." The relatively small and infrequent increase in intake velocity that may result from the proposed change in the minimum water level in the PSW pump well should not alter the conclusions regarding entrainment or impingement. The characteristics of the thermal effluent during extreme low river flow would change, but SNC reports that the effluent should still comply with the NPDES-permitted limits authorized and monitored by the State of Georgia to protect aquatic resources, including shortnose sturgeon.
Because the license amendment would not change the effects of HNP on shortnose sturgeon, the NRC's 2004 biological assessment conclusion, with which FWS concurred in 2005, would not change: the operation of HNP may affect, but is not likely to adversely affect, the shortnose sturgeon and any effects would be discountable.
Because the license amendment would not change the effects of HNP on shortnose sturgeon, the NRC's 2004 biological assessment conclusion, with which FWS concurred in 2005, would not change: the operation of HNP may affect, but is not likely to adversely affect, the shortnose sturgeon and any effects would be discountable.
The FWS also identified one aquatic invertebrate as listed and possibly occurring near the plant: the endangered Altamaha spinymussel, for which FWS also designated critical habitat in the Altamaha River. The FWS listed the Altamaha spinymussel on October 11, 2011 (76 FR 62939), well after the NRC's 2000 biological assessment for license renewal and its subsequent consultation with NMFS regarding the shortnose sturgeon.
The FWS also identified one aquatic invertebrate as listed and possibly occurring near the plant: the endangered Altamaha spinymussel, for which FWS also designated critical habitat in the Altamaha River. The FWS listed the Altamaha spinymussel on October 11, 2011 (76 FR 62939), well after the NRC's 2000 biological assessment for license renewal and its subsequent consultation with NMFS regarding the shortnose sturgeon. The NRC had not considered the potential effects of operation of HNP on the mussel prior to this license amendment request.
The NRC had not considered the potential effects of operation of HNP on the mussel prior to this license amendment request. In August 2013, the NRC sent a biological assessment for the Altamaha spinymussel to FWS and requested concurrence with its findings (ADAMS Accession No. ML 13193A366).
In August 2013, the NRC sent a biological assessment for the Altamaha spinymussel to FWS and requested concurrence with its findings (ADAMS Accession No. ML13193A366). The
The  biological assessment made the following conclusions.
 
The Altamaha spinymussel has historically been found in the main stem of the Altamaha River and its larger tributaries.
biological assessment made the following conclusions. The Altamaha spinymussel has historically been found in the main stem of the Altamaha River and its larger tributaries. HNP lies close to the center of its present range. Although FWS has designated critical habitat above and below HNP, critical habitat does not include the Altamaha River near HNP. The NRC staff examined several sources of stress associated with the operation of HNP that the FWS listing announcement suggested might affect the species. The staff found that the potential effects of dredging and sediment contamination, entrainment and impingement of host fish species, trophic interactions, and habitat fragmentation are insignificant or discountable. The staff also foul}d no adverse effects to critical habitat. The staff concluded that the present and future operation of HNP may affect, but is not likely to adversely affect, Altamaha spinymussel and that the present and future operation of HNP would have no effect on Altamaha spinymussel critical habitat. On December 10, 2013, the FWS concurred with NRC's biological assessment and stated that the requirements of Section 7 of the ESA have been satisfied (ADAMS Accession No. ML14006A295).
HNP lies close to the center of its present range. Although FWS has designated critical habitat above and below HNP, critical habitat does not include the Altamaha River near HNP. The NRC staff examined several sources of stress associated with the operation of HNP that the FWS listing announcement suggested might affect the species. The staff found that the potential effects of dredging and sediment contamination, entrainment and impingement of host fish species, trophic interactions, and habitat fragmentation are insignificant or discountable.
Radiological Impacts:
The staff also foul}d no adverse effects to critical habitat. The staff concluded that the present and future operation of HNP may affect, but is not likely to adversely affect, Altamaha spinymussel and that the present and future operation of HNP would have no effect on Altamaha spinymussel critical habitat. On December 10, 2013, the FWS concurred with NRC's biological assessment and stated that the requirements of Section 7 of the ESA have been satisfied (ADAMS Accession No. ML 14006A295).
In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. The proposed action to revise the minimum water level in the PSW pump well would not have a significant adverse effect on the probability of an accident occurring or result in an increased radiological hazard beyond those analyzed in the licensee's Updated Final Safety Analysis Report. There will be no change to radiation levels or the types or quantities of radioactive effluents (gaseous or liquid) that affect radiation exposures to plant workers and members of the public. No changes or different types of radiological impacts are expected as a result of the proposed action. Therefore, the
Radiological Impacts: In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents.
 
The proposed action to revise the minimum water level in the PSW pump well would not have a significant adverse effect on the probability of an accident occurring or result in an increased radiological hazard beyond those analyzed in the licensee's Updated Final Safety Analysis Report. There will be no change to radiation levels or the types or quantities of radioactive effluents (gaseous or liquid) that affect radiation exposures to plant workers and members of the public. No changes or different types of radiological impacts are expected as a result of the proposed action. Therefore, the   radiological impacts of granting the license amendment would be negligible and would not have a significant adverse effect on the environment.
radiological impacts of granting the license amendment would be negligible and would not have a significant adverse effect on the environment.
Cumulative Impacts: The NRC considered potential cumulative impacts on the environment resulting from the incremental impact of the proposed license amendment when added to other past, present, and reasonably foreseeable future actions. For the purposes of this analysis, past actions are related to the resource COf1ditions when HNP, Units 1 and 2, and were licensed and constructed.
Cumulative Impacts:
Present actions are related to the resource conditions during currerit operations, and future actions are those that are reasonably foreseeable through the end of HNP's current license renewal term and which may be likely to affect the same resources as those considered for the proposed license amendment.
The NRC considered potential cumulative impacts on the environment resulting from the incremental impact of the proposed license amendment when added to other past, present, and reasonably foreseeable future actions. For the purposes of this analysis, past actions are related to the resource COf1ditions when HNP, Units 1 and 2, and were licensed and constructed. Present actions are related to the resource conditions during currerit operations, and future actions are those that are reasonably foreseeable through the end of HNP's current license renewal term and which may be likely to affect the same resources as those considered for the proposed license amendment.
The NRC has not identified any reasonably foreseeable actions within the context of the scope of this environmental assessment.
The NRC has not identified any reasonably foreseeable actions within the context of the scope of this environmental assessment. Nevertheless, the proposed operational change to lower the minimum water level in the PSW pump well for normal cooling water withdrawals does not result in or require any physical changes to ,HNP systems, structures, and components. For the resource areas potentially affected by the proposed operational changes (i.e., surface water and groundwater resources, aquatic resources, terrestrial resources, and threatened and endangered species), the contributions of ongoing actions within a region to cumulative impacts are regulated and monitored through a permitting or other regulatory consultation or certification processes (e.g., 401 certification, and NPDES and 404 permits under the Clean Water Act) under State or Federal authority. In these cases, the cumulative impacts are managed as long as the actions are in compliance with their respective permits and conditions of certification.
Nevertheless, the proposed operational change to lower the minimum water level in the PSW pump well for normal cooling water withdrawals does not result in or require any physical changes to ,HNP systems, structures, and components.
The proposed license amendment entails no increase in water use or effluents requiring modification of HNP's state-issued surface water withdrawal permit or its NPDES permit that
For the resource areas potentially affected by the proposed operational changes (i.e., surface water and groundwater resources, aquatic resources, terrestrial resources, and threatened and endangered species), the contributions of ongoing actions within a region to cumulative impacts are regulated and monitored through a permitting or other regulatory consultation or certification processes (e.g., 401 certification, and NPDES and 404 permits under the Clean Water Act) under State or Federal authority.
 
In these cases, the cumulative impacts are managed as long as the actions are in compliance with their respective permits and conditions of certification.
regulates the discharge of combined process wastewaters to the Altamaha River and their potential nonradiological and radiological effects on water quality and aquatic resources. Thus, there are no incremental contributions to cumulative impacts with respect to these attributes of the proposed action.
The proposed license amendment entails no increase in water use or effluents requiring modification of HNP's state-issued surface water withdrawal permit or its NPDES permit that   regulates the discharge of combined process wastewaters to the Altamaha River and their potential nonradiological and radiological effects on water quality and aquatic resources.
The staff also conducted a review of terrestrial and aquatic resources, including threatened and endangered species, that could be impacted by the proposed license amendment. NRC staff prepared a biological assessmentfor the Federally endangered Altamaha spinymussel, as previously described. The staff found that proposed operational changes at HNP may affect, but are not likely to adversely affect the species. The biological assessment was submitted to the U.S. FWS in accordance with consultation requirements under Section 7 of the ESA. In December 2013, the FWS concurred with the staff's biological assessment and findings and concluded that the requirements of Section 7 of the ESA had been satisfied, thus concluding Section 7 informal consultation.
Thus, there are no incremental contributions to cumulative impacts with respect to these attributes of the proposed action. The staff also conducted a review of terrestrial and aquatic resources, including threatened and endangered species, that could be impacted by the proposed license amendment.
NRC staff prepared a biological assessmentfor the Federally endangered Altamaha spinymussel, as previously described.
The staff found that proposed operational changes at HNP may affect, but are not likely to adversely affect the species. The biological assessment was submitted to the U.S. FWS in accordance with consultation requirements under Section 7 of the ESA. In December 2013, the FWS concurred with the staff's biological assessment and findings and concluded that the requirements of Section 7 of the ESA had been satisfied, thus concluding Section 7 informal consultation.
Based on the above, the staff concludes that cumulative impacts would not be significant from implementation of the proposed license amendment.
Based on the above, the staff concludes that cumulative impacts would not be significant from implementation of the proposed license amendment.
Alternatives to the Proposed Action: As an alternative to the proposed action, the NRC staff considered denial of the proposed license amendment (i.e., the "no-action" alternative).
Alternatives to the Proposed Action:
Denial of the application would result in no *change in current environmental impacts. However, denial would result in reduced operational flexibility.
As an alternative to the proposed action, the NRC staff considered denial of the proposed license amendment (i.e., the "no-action" alternative). Denial of the application would result in no *change in current environmental impacts. However, denial would result in reduced operational flexibility.
Alternative Use of Resources:
Alternative Use of Resources:
The action does not involve the use of any different resources than those previously considered in NUREG-1437, Supplement 4 prepared for license renewal of HNP. Agencies and Persons Consulted:
The action does not involve the use of any different resources than those previously considered in NUREG-1437, Supplement 4 prepared for license renewal of HNP.
 
Agencies and Persons Consulted:
In accordance with its stated policy, on February 19, 2014, the staff notified the Georgia State official, Mr. Chuck Mueller, of the Georgia Department of Natural Resources, regarding the environmental impact of the proposed action. The State official had no comments.
In accordance with its stated policy, on February 19, 2014, the staff notified the Georgia State official, Mr. Chuck Mueller, of the Georgia Department of Natural Resources, regarding the environmental impact of the proposed action. The State official had no comments.
Additionally, the staff contacted the FWS in August 2013 as part of soliciting comments and obtaining concurrence on the staff's biological assessment for the Altamaha spinymussel, as part of informal Section 7 consultation under the Endangered Species Act. The FWS's comments and findings with respect to the proposed action have been noted and are further discussed under the sections for Federally Protected Species and Cumulative Impacts in this environmental assessment.
Additionally, the staff contacted the FWS in August 2013 as part of soliciting comments and obtaining concurrence on the staff's biological assessment for the Altamaha spinymussel, as part of informal Section 7 consultation under the Endangered Species Act. The FWS's comments and findings with respect to the proposed action have been noted and are further discussed under the sections for Federally Protected Species and Cumulative Impacts in this environmental assessment.
Ill. Finding of No Significant Impact The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company (SNC) for operation of the Edwin I. Hatch Nuclear Plant (HNP), Units 1 and 2, to revise the minimum water level referenced in the Technical Specification (TS) associated with the Limiting Condition for Operation for the plant service water (PSW) system and ultimate heat sink. The TS change would revise the minimum water level in the PSW pump well from 60.7 feet (ft) (18.5 meters [m]) to 60.5 ft (18.4 m) mean sea level. On the basis of the environmental assessment included in Section II above and incorporated by reference in this finding, the NRC concludes that the proposed action will not have significant effects on the quality of the human environment.
Ill. Finding of No Significant Impact The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company (SNC) for operation of the Edwin I. Hatch Nuclear Plant (HNP), Units 1 and 2, to revise the minimum water level referenced in the Technical Specification (TS) associated with the Limiting Condition for Operation for the plant service water (PSW) system and ultimate heat sink. The TS change would revise the minimum water level in the PSW pump well from 60.7 feet (ft) (18.5 meters [m]) to 60.5 ft (18.4 m) mean sea level.
The proposed action has no significant impacts on surface water or ground water no significant effect on aquatic resources, and no adverse effects on terrestrial species or habitat. In addition, the action is not likely to adversely affect any endangered species or affect a critical habitat, and the radiological   and cumulative impacts are either negligible or are not significant.
On the basis of the environmental assessment included in Section II above and incorporated by reference in this finding, the NRC concludes that the proposed action will not have significant effects on the quality of the human environment. The proposed action has no significant impacts on surface water or ground water     re~ources, no significant effect on aquatic resources, and no adverse effects on terrestrial species or habitat. In addition, the action is not likely to adversely affect any endangered species or affect a critical habitat, and the radiological
Accordingly, the NRC decided not to prepare an environmental impact statement for the proposed action. The environmental documents related to this finding and listed below are available for public inspection and may be inspected online through the NRC's Agencywide Documents ,Access and Management System (ADAMS) at http://www.nrc.gov/reading-rm/adams.html.
You may also inspect these documents at the NRC's Public Document Room as discussed in "NRC Agencywide Documents Access and Management System (ADAMS)" above. Related documents include the following:
SNC's December 15, 2011 license )amendment request (ADAMS Accession No. ML 1135001 08); SNC's subsequent withdrawal of the requestby letter dated April 20, 2012 (ADAMS Accession No. ML 12122A113);
SNC's resubmittal of the amendment request dated July 5, 2012 (ADAMS Accession No. ML 13015A089);
SNC's response to NRC's request for additional information dated October 10, 2012 (ADAMS Accession No. ML 12284A299);
the NRC's May 2001 evaluation of ongoing operational impacts under the renewed license presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2-Final Report (NUREG-1437, Supplement 4; ADAMS Accession No. ML011420018);
NRC's August 31, 2000 biological assessment regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon (ADAMS Accession No. ML003746456);
NRC's revised biological assessment of July 2004 (ADAMS Accession No. ML04191 0254); NMFS's concurrence with the conclusion of that biological assessment in August 2005 (ADAMS Accession No. ML052640354);
the NRC's August 2013 biological assessment for the Altamaha spinymussel (ADAMS Accession No. ML 13193A366);
and FWS's . concurrence with the conclusion in that biological assessment (ADAMS Accession No. ML 14006A295). For further details with respect to the proposed action, see the licensee's application letters dated July 5 and October 10, 2012 (ADAMS Accession Nos. ML 13015A089 and ML 12284A299).
Dated at Rockville, Maryland, this 2J.j:lh day of J-:<l:ftJ'Y 2014. ) For the Nuclear Regulatory Commission.
Robert Pascarelli, Chief Plant Licensing Branch 11-1, *Division of Operating Reactor Licensing, Office of NuclearReactor Regulation. )
Mr. C. R. Pierce Regulatory Affairs Director February 24, 2014 Southern Nuclear Operating Company, Inc. Post Office Box 1295, Bin -038 Birmingham, AL 35201-1295
 
==SUBJECT:==
EDWIN I. HATCH NUCLEAR PLANT, UNITS 1 AND 2-ASSESSMENT AND FINDING OF NO SIGNIFICANT IMPACT (TAC NOS. ME9004 and ME9005)


==Dear Mr. Pierce:==
and cumulative impacts are either negligible or are not significant. Accordingly, the NRC decided not to prepare an environmental impact statement for the proposed action.
Enclosed is a copy of the Environmental Assessment and Finding of No Significant Impact related to your license amendment request letters, dated July 5 and October 10, 2012. The proposed action would amend the Technical Specifications in Appendix A of HNP's Renewed Facility Operating Licenses by revising the minimum water level for the plant service water system and ultimate heat sink from 60.7 feet (ft) to 60.5 ft mean sea level. The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely. The assessment is being forwarded to the Office of the Federal Register for publication.
The environmental documents related to this finding and listed below are available for public inspection and may be inspected online through the NRC's Agencywide Documents
Sincerely, IRA/ Robert Martin, Project Manager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket Nos. 50-321 and 50-366
  ,Access and Management System (ADAMS) at http://www.nrc.gov/reading-rm/adams.html. You may also inspect these documents at the NRC's Public Document Room as discussed in "NRC Agencywide Documents Access and Management System (ADAMS)" above.
Related documents include the following: SNC's December 15, 2011 license
)amendment request (ADAMS Accession No. ML113500108); SNC's subsequent withdrawal of the requestby letter dated April 20, 2012 (ADAMS Accession No. ML12122A113); SNC's resubmittal of the amendment request dated July 5, 2012 (ADAMS Accession No. ML13015A089); SNC's response to NRC's request for additional information dated October 10, 2012 (ADAMS Accession No. ML12284A299); the NRC's May 2001 evaluation of ongoing operational impacts under the renewed license presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2- Final Report (NUREG-1437, Supplement 4; ADAMS Accession No. ML011420018); NRC's August 31, 2000 biological assessment regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon (ADAMS Accession No. ML003746456); NRC's revised biological assessment of July 2004 (ADAMS Accession No. ML041910254); NMFS's concurrence with the conclusion of that biological assessment in August 2005 (ADAMS Accession No. ML052640354); the NRC's August 2013 biological assessment for the Altamaha spinymussel (ADAMS Accession No. ML13193A366); and FWS's
. concurrence with the conclusion in that biological assessment (ADAMS Accession No. ML14006A295).


==Enclosure:==
For further details with respect to the proposed action, see the licensee's application letters dated July 5 and October 10, 2012 (ADAMS Accession Nos. ML13015A089 and ML12284A299).
* Environmental Assessment cc w/encl: Distribution via Listserv DISTRIBUTION:
Dated at Rockville, Maryland, this 2J.j:lh day of J-:<l:ftJ'Y 2014.
PUBLIC LPL2-1 R/F RidsAcrsAcnw_MaiiCTR Resource RidsNrrDirRerb Resource RidsNrrDorllpl2-1 Resource RidsNrrLASFigueroa Resource RidsNrrPMHatch Resource RidsRgn2MaiiCenter Resource ADAMS Accession Nos* LRT ML 14027A646 00 FRN 14027 A656 OFFICE NRR/DORULPL2-1  
                                                                                    )
/PM NRR/DORULPL2-1  
For the Nuclear Regulatory Commission.
/LA NRR/DLR/RERB/BC NAME RMartin SFigueroa DWrona DATE 02/19/14 02/08/14 01/24/14 OFFICE N RR/DORLILPL2-1  
Robert Pascarelli, Chief Plant Licensing Branch 11-1,
/BC NRR/DORULPL2-1  
                                                *Division of Operating Reactor Licensing, Office of NuclearReactor Regulation.
/BC NAME RPascarelli RMartin DATE 02/24/14 02/24/14 OFFICIAL RECORD COPY OGC-NLO MYoung 02/19/14 /}}
                                                                      )
* LRT ML14027A646 00                             FRN 14027 A656 OFFICE       NRR/DORULPL2-1 /PM   NRR/DORULPL2-1 /LA     NRR/DLR/RERB/BC           OGC-NLO NAME         RMartin               SFigueroa               DWrona                   MYoung DATE         02/19/14             02/08/14               01/24/14                  02/19/14 OFFICE       NRR/DORLILPL2-1 /BC   NRR/DORULPL2-1 /BC NAME         RPascarelli           RMartin DATE         02/24/14             02/24/14                                                   /}}

Latest revision as of 20:14, 19 March 2020

Environmental Assessment and Finding of No Significant Impact
ML14211A575
Person / Time
Site: Hatch  Southern Nuclear icon.png
Issue date: 02/24/2014
From: Martin R
Plant Licensing Branch II
To: Pierce C
Southern Nuclear Operating Co
Martin R
References
TAC ME9004, TAC ME9005
Download: ML14211A575 (25)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 24, 2014 Mr. C. R. Pierce Regulatory Affairs Director Southern Nuclear Operating Company, Inc.

Post Office Box 1295, Bin - 038 Birmingham, AL 35201-1295

SUBJECT:

EDWIN I. HATCH NUCLEAR PLANT, UNITS 1 AND 2- ENVIRONMENTAL ASSESSMENT AND FINDING OF NO SIGNIFICANT IMPACT (TAC NOS.

ME9004 and ME9005)

Dear Mr. Pierce:

Enclosed is a copy of the Environmental Assessment and Finding of No Significant Impact related to your license amendment request letters, dated July 5 and October 10, 2012. The proposed action would amend the Technical Specifications in Appendix A of HNP's Renewed Facility Operating Licenses by revising the minimum water level for the plant service water system and ultimate heat sink from 60.7 feet (ft) to 60.5 ft mean sea level.

The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely.

The assessment is being forwarded to the Office of the Federal Register for publication.

Sincerely,

~o~ager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket Nos. 50-321 and 50-366

Enclosure:

Environmental Assessment cc w/encl: Distribution via Listserv

[7590-01-P]

NUCLEAR REGULATORY COMMISSION

[Docket Nos. 50-321 and 50-366; NRC-201 X-XXXX]

Edwin I. Hatch Nuclear Plant, Unit Nos. 1 and 2 Environmental Assessment and Finding of No Significant Impact Related to the Proposed License Amendment to Revise the Minimum Water Level in the Plant Service Water System Pump Well AGENCY: Nuclear Regulatory Commission ACTION: Environmental assessment and finding of no significant impact; issuance.

FOR FURTHER INFORMATION CONTACT: Robert E. Martin, Senior Project Manager, Licensing Branch 11-1, Division of Operating Reactor Licensing, Office of-Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Rockville; Maryland, 20852. Telephone:

(301) 415-1493; fax number: (301) 415-2102; e-mail: Robert.Martin@nrc.gov.

  • ADDRESSES: Please refer to Docket ID NRC-20YY-XXXX when contacting the NRC about the availability of information regarding this document. You may access information related to this document, which the NRC possesses and are publicly available, using any of the following methods:
  • Federal rulemaking Web site: Go to http://www.regulations.gov and search for Docket ID NRC-20YY-XXXX. Address questions about NRC dockets to Carol Gallagher; telephone: 301-287-3422; e-ma!l: Caroi.Gallaqher@nrc.gov.
  • NRC's Agencywide Documents Access and Management System (Aq_AMS):

You may access publicly available documents online in the NRC Library at

http://www.nrc.gov/readinq-rm/adams.html. To begin the search, select "ADAMS Public Documents" and then select "Begin Web-based ADAMS Search." For problems with ADAMS, please contact the NRC's Public Document Room (PDR) reference staff at 1-800-397-4209, 301-415-4737, or by e-mail to pdr.resource@ nrc.gov. The ADAMS accession number for each document referenced in this notice (if Jhat document is available in ADAMS) is provided the first time that a document is referenced. The application for amendment, dated July 5, 2012, is available electronically under ADAMS Accession No. ML13015A089.

  • NRC's PDR: You may examine and purchase copies of public documents at the NRC's PDR, Room 01-F21, One White Flint North, 11555 Rockville Pike, Rockville, Maryland 20852.

SUPPLEMENTARY INFORMATION:

I. Introduction

' The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company, (SNC, the licensee) for operation of the Edwin I. Hatch Nuclear Plant I

(HNP), Units 1 and 2, located in Appling County, Georgia, in accordance with Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.90. Therefore, as required by 10 CFR 51.21, the NRC staff performed an environmental assessment to document its findings. SNC previously submitted its license amendment request by letter dated December 15, 2011 (ADAMS Accession No. ML113500108) and subsequently withdrew it by letter dated April 20, 2012 (ADAMS Accession No. ML12122A113). Based on information provided in SNC's resubmittal, dated July 5, 2012 (ADAMS Accession No. ML13015A089), SNC's response to NRC's request for additional information, dated October 10, 2012 (ADAMS Accession No.

ML12284A299), and the NRC staff's independent review of references, the NRC did not identify any significant environmental impacts associated with the proposed license amendment.

Based on the results of the environmental assessment documented herein, the NRC is issuing this Finding of No Significant Impact (FONSI), in accordance with 10 CFR 51.32, for the proposed license amendment.

\

II. Environmental Assessment Plant Site and Environs:

The HNP is located in Appling County, Georgia, southeast of where U.S. Highway 1 crosses the Altamaha River, in a rural part of the state. It is located approximately 11 miles (mi)

(18 kilometers [km]) north of Baxley, Georgia; 20 mi (32 km) south of Vidalia, Georgia; 98 mi (160 km) southeast of Macon, Georgia; 73 mi (120 km) northwest of Brunswick, Georgia; and 67 mi (1 07 km) southwest of Savannah, Georgia. The HNP site totals approximately 2,240 acres (ac) (91 0 hectares [ha]). The plant has two boiling-water reactors with steam-electric turbines manufactured by General Electric Company. Following the approval and completion of the latest extended power uprate in 2003, HPN, Units 1 and 2, have an electrical power output of 935 and 950 megawatts-electric (MW[e]), respectively (ADAMS Accession Nos.

ML032671231 and ML032691360). HNP uses a closed-loop, cooling tower system for main condenser cooling that withdraws makeup water from and discharges to the Altamaha River via shoreline intake and offshore discharge structures.

Identification of the Proposed Action:

The proposed action would amend Appendix A of HNP's Renewed Facility Operating Licenses in order to revise the minimum water level referenced in Technical Specification (TS)

Surveillance Requirement (SR) 3.7.2.1 associated with the Limiting Condition for Operation (LCO) for the plant service water (PSW) system and ultimate heat sink (UHS). Specifically, SNC proposes a TS change to revise the minimum water level in the PSW pump well, as required by SR 3.7.2.1, from 60.7 feet (ft) (18.5 meters [m])-to 60.5 ft (18.4 m) mean sea level.

As stated by SNC, the proposed TS change does not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. The license amendment would allow the licensee to avoid the potential for plant shutdown due to low river levels by demonstrating that sufficient water levels exist at the revised level to operate the plant safely. The licensee proposes to implement the proposed operational changes within 60 days of NRC's issuing the requested amendment.

The Need for the Proposed Action:

The proposed action is needed to provide SNC with additional operational flexibility during periods of low river levels to avoid a plant shutdown, while providing sufficient availability ,

of water to support post-accident cooling requirements for a 30-day period.

Environmental Impacts of the Proposed Action:

As part of the original licensing process for HNP, Units 1 and 2, the NRC published Final Environmental Statements (FES) for Hatch, Units 1 and 2, in October 1972 and a separate FES for Unit 2 in March 1978. The FESs project potential environmental impacts associated with the operation of HNP over its initial operating period. In 2001, the NRC evaluated the environmental impacts of operating HNP for an additional 20 years beyond the original operating license and predicted that the environmental impacts of license renewal were small.

The NRC's evaluation of ongoing operational impacts under the renewed license is presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2- Final Report (NUREG-1437, Supplement 4) dated

May 2001 (ADAMS Accession No. ML011420018). This document is the primary source of information presented in this environmental assessment, unless otherwise referenced.

The NRC staff considered information from SNC's license amendment request, the licensee's response to NRC staff's request for additional information, and NUREG-1437, Supplement 4 in preparing this environmental assessment. In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. Further, the proposed license amendment involves a TS change that would only result in changes in procedural and operational aspects undertaken by HNP personnel for monitoring and maintaining the minimum water level in the PSW pump well.

Thus, HNP's workforce would not change, and the regular operations workforce would otherwise be unaffected by the proposed action. Based on the above and the available information reviewed by the staff, the NRC concludes that no significant impact on land use and visual resources, geologic environment, air quality and noise, historic and cultural resources, socioeconomic conditions including environmental justice, or waste generation and management activities would occur near HNP from granting the proposed license amendment.

Therefore, operational impacts on these resources are not further discussed in this environmental assessment for the purposes of evaluating SNC's proposed license amendment.

NUREG-1437, Supplement 4 previously assessed the environmental impacts of continued operations of HNP, Units 1 and 2.

As identified in the evaluation performed by the licensee in support of its application, implementation of the TS change in the minimum water level in the PSW pump well to 60.5 ft (18.4 m) mean sea level for normal cooling water withdrawals ~ould result in associated operational and receiving water changes. These include the following: (1) an altered discharge plume mixing zone, (2) altered discharge dilution for liquid radwaste discharges, and (3) an

increased through-screen velocity at the river intake traveling screens, with an increased percentage of the river diverted through the plant. With regard to the proposed lowering of the minimum water level in the PSW pump well and associated receiving water changes, the sections below evaluate and describe the aspects and potential impacts on the environment and on specific resource conditions that could result from implementation of the proposed license amendment.

The details of the NRC staff's safety evaluation will be separately provided in the license amendment package issued to approve the license amendment, if granted.

Non-radiological Impacts:

Surface Water Resources:

The Altamaha River is the major source of water for HNP. The Altamaha River is approximately 500ft (150 *m) wide and a maximum of 30ft (9 m) deep at HNP. The shoreline of the Altamaha River near HNP and immediately downstream for several miles is characterized by steep bluffs, floodplain forests, and sandbars. The river remains relatively undisturbed and has no major channelization, dredging, or major reservoirs. The U.S. Geological Survey (USGS) maintains a stream gaging station (Number 02225000, Altamaha River near Baxley, GA) on the right bank of the river about 400 ft (121 m) downstream from the U.S. Highway 1 bridge, approximately 530ft (160 m) upstream from HNP. Based on 63 years of record, the average annual flow rate at this station is 10,820 cubic feet per second (cfs) (305.6 cubic meters per second [m 3/s]). Highest monthly flows normally occur in March and lowest monthly flows normally occur in September. The single day low flow (minimum daily mean flow) recorded to date at this gage occurred on September 19, 2011, with a discharge of 1,140 cfs (32.2 m 3/s).

Water is withdrawn from the river to provide cooling for certain once-through loads and makeup water to the cooling towers. SNC is permitted (Georgia Department of Natural

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Resources [GADNR] Permit 001-0690-01, expiration date April 7, 2020) to withdraw a monthly average of up to 85 million gallons per day (mgd) (322,000 cubic meters per day [m 3/d]), with a maximum 24-hour rate of up to 103.6 mgd (392,200 m3/d). As a condition of this permit, SNC is required to monitor and report withdrawals. As.documented in NUREG-1437, Supplement 4, HNP reported surface water withdraws averaging 57 mgd (216,000 m3/d). Based on the most recent reported withdrawals for the period 2007 to 2011, HNP withdraws an annual average of 56.7 mgd (214,600 m3/d) of water), an equivalent withdraw rate of 87.7 cfs (2.48 m3/s). HNP's r

annual average withdrawal rate is approximately 0.8 percent of the annual average flow of the Altamaha River and about 7.7 percent of the hi~toric single day low flow, as discussed above.

As also documented in NUREG-1437, Supplement 4, approximately 58 percent of the water withdrawn by HNP for all uses is consumptively used in HNP's cooling towers and by other processes, with the balance (about 42 percent) discharged back to the river.

Additionally, as part of its application for the proposed TS change, SNC submitted a discharge rating calculation and rating table, which shows the discharge of the Altamaha River at specific river elevations as adjusted for the water elevation at the PSW pump well (inside the HNP intake). The analysis performed by SNC indicates that continued surface water withdrawals at the proposed PSW well minimum water level of 60.5 ft (18.4 m), and equating to a river low flow of 718 cfs (20.3 m3/s), would provide sufficient water supply to meet HNP's 30-day TS requirements for safe-shutdown cooling under extended low river flow conditions.

SNC's analysis further shows that sufficient water would be available at a minimum water level of 60.0 ft (18.3 m), ref!ecting a river low flow of 517 cfs (14.6 m3/s).

  • perform an independent review of SNC's flow rating calculation. As documented in correspondence to SNC dated March 2, 2009, the USGS found SNC's calculations and methods to predict stream flow over extended low flow conditions on the Altamaha River to be

"conservative and satisfactory" to address SNC's objective of verifying sufficient water supply at low river flows. USGS performed a low-flow probability analysis of the river stage-discharge relationship for the referenced gaging station, as adjusted for the elevation drop between USGS gage elevation and the HNP intake. Using a calculated low flow with a 0.002 non-exceedance probability (a flow with an annual probability of about.1 in 500) which is equivalent to 1,104 cfs (31.2 m 3/s), the USGS analysis yielded a conservative (bounding-case) surface water level elevation at HNP's intake of61.02 ft (18.6 m). This level would be above the proposed PSW well minimum water level of 60.5 ft (18.4 m). It is noted that USGS calculated its 500-year recurrence low flow value using daily low flow statistics for the period of 1972 to 2008. Up to that time, the minimum daily mean flow observed was 1,330 cfs (37.6 m3/s) on September 29, 2008, until the observed record daily mean low flow on September 19, 2011, at 1,140 cfs (32.2 m3/~).

Nevertheless, SNC's analyses for its license amendment request demonstrate that the proposed operational change could support continued surface watE(r withdrawals with sufficient margin, under low flow conditions, at a river level that is 0.2 ft (0.06 m) lower than evaluated in NUREG-1437, Supplement 4. The staff's analysis presented in NUREG-1437, Supplement 4 documented average annual surface water elevation fluctuations of about 9ft (2.7 m) for the same one-month period over a period of 22 years and further concluded that surface water use conflicts from HNP's consumptive water use were small. While the proposed TS change would lower the minimum water level in the PSW pump well at which surface water would continue to be withdrawn for HNP operations, no increase in the volume of surface water withdrawn would occur, and no modification to HNP's state-issued surface water withdrawal permit is required (ADAMS Accession No. ML12284A299). Based on the above, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water hydrology of the Altamaha River.

HNP is operated under a National Pollutant Discharge Elimination System (NPDES) permit (No. GA0004120), issued by the Georgia Environmental Protection Division, which permits the discharge of combined process wastewaters including cooling tower.blowdown to the Altamaha River. The NPDES permit expired on June 30, 2012, but has been administratively continued by the State and remains valid and in effect, since SNC submitted an NPDES renewal application over 180 days before permit expiration (ADAMS Accession No. ML12284A299).

As described in NUREG-1437, Supplement 4, HNP's combined discharge structure consists of two, submerged discharge lines that extend approximately 120 ft (37 m) out from the south shore at an elevation of 54ft (17 m) mean sea level. The point of discharge is 1,260 ft (380m) downriver from the intake structure and approximately 4ft (1.2 m) below the surface when the river is at low water (see NUREG-1437, Supplement 4). The permit sets effluent limits for several other parameters (e.g., oil and grease, total suspended solids, and metals) but the point of compliance is specified at internal outfalls and prior to mixing and discharge through the combined discharge structure. The permit does not impose a maximum temperature limit on the combined river discharge but does require weekly temperature monitoring at the point of mixing and quarterly reporting of discharge temperatures to the State of Georgia. The permit further stipulates compliance with NRC requirements relative to radiological constituents. The water quality of the Altamaha River on which the HNP is located is also subject to regulation in accordance with Georgia's ~ater Use Classifications and Water Quality Standards (Chapter 391-3-6-.03 of the State's Rules and Regulations). For all waters in the State of Georgia, except where more stringent criteria apply, receiving water tempe,ratures are not to exceed 90 degrees Fahrenheit rF) (32 degrees Centigrade [°C]) and the temperature of receiving waters is not to be increased more than 5 OF (2.8 oq above the intake temperature.

In support of its application, SNC performed a computer modeling study using CORMIX (version 5.0) and associated river bottom survey to evaluate the potential environmental impacts of operating HNP at the proposed minimum water level of 60.5 ft (18.4 m). In summary, this modeling incorporated ambient river temperature conditions for summer and winter and utilized historical river and HNP discharge flow rates. Based on the modeling performed including incorporation of an assumed ambient river temperature of 97 oF (36 °C), the projected discharge plume temperature difference from ambient was calculated to be 2.5 oF (1.4 °C) or less at a distance of 140ft (42.7 m) downstream from the point of discharge. The modeling results obtained by SNC indicate that State and Federal ambient water quality criteria and discharge standards would continue to be satisfied with respect to HNP's discharges to the Altamaha River. Consequently, the NRC staff concludes that the impacts of this operational change would have no significant incremental impact on the surface water quality and thermal characteristics of the Altamaha River. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations. Therefore, there would be no significant adverse surface water resource impacts following implementation of the proposed operational change.

Groundwater Resources:

The alluvial (unconfined) aquifer at the site is primarily south of the Altamaha River within the facility boundary, and consists of approximately 55ft (17m) of poorly sorted sand, gravel, and clay. The alluvial aquifer contains groundwater under water table conditions.

Clayey soils dominate in the upper portion of the aquifer. These high-clay-content soils locally form a discontinuous, relatively impermeable zone. Recharge to the alluvial aquifer is by the infiltration of precipitation through and around the leaky clay zones. Limited recharge is also provided by the Altamaha River during high stages and by the minor confined aquifer of the

Hawthorn Formation, to which the alluvium is hydraulically connected. The upper, alluvial aquifer and the minor confined aquifer are hydraulically separated from the underlying artesian (Floridan) aquifer from which HNP's supply wells withdraw groundwater for plant use. Within the immediate vicinity of the site, the primary use of groundwater is for domestic needs, with a limited amount for livestock. Most domestic wells are screened within the unconfined aquifer.

As evaluated in NUREG-1437: Supplement 4, the staff determined that the consumptive use of surface water by HNP operations is estimated to lower the river elevation by 0.08 ft (0.02*m) during low-flow conditions. It was concluded that the consumptive use would not appreciably alter the potentiometric gradient in the alluvial aquifer and that the resulting impact on groundwater is small.

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The withdrawal of surface water at a river level that is 0.2 ft (0.06 m) lower than the current minimum water level in the PSW pump well would have a negligible impact on groundwater resources. This is because the proposed change would not be expected to substantially affect the contribution of groundwater base flow from the alluvial aquifer to the Altamaha River, or the availability of groundwater for other users. Granting the proposed license amendment is not expected to cause impacts significantly greater than current operations. Therefore, there would be no significant adverse groundwater resource impacts from lowering the minimum water level in the PSW pump well as proposed by SNC.

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Aquatic Resources:

The Altamaha River is formed by the confluence of the Ocmulgee and Oconee Rivers, which drain the Piedmont Region, and flows about 153 mi (246 km) to the Atlantic Ocean near Darien, Georgia. The drainage area is about 2,850 mi 2 (7,380 km 2 ), and lies entirely in the State of Georgia. The main stem of the river is confined to the Coastal Plain Physiographic Province, has no dams, and supports a healthy aquatic ecosystem.

The fish fauna is diverse and includes 93 species belonging to 25 different families.

Common resident taxa include members of the catfish family (lctaluridae), such as channel catfish and flathead catfish; and members of the sunfish family (Centrarchidae), including redbreast sunfish (Lepomis auritus), bluegill (L macrochirus), redear sunfish (L micro/ophus),

black crappie (Pomixis nigromacu/atus), and largemouth bass (Micropterus salmoides);

minnows (Cyprinidae); and suckers (Catostomidae). Flathead catfish are not endemic, but where introduced in the 1970s, and their increase has resulted in a decrease in populations of some native species, such as bullhead catfishes (lctalurus spp.) and redbreast sunfish. The fish community seasonally includes anadromous herring (Ciupeidae) and sturgeon (Acipenseridae) species that ascend rivers from the sea to breed, including American shad (Aiosa sapidissima),

hickory shad (A. mediocris), blueback herring (A. aestivalis), and both shortnose (Acipenser brevirostum) and Atlantic sturgeon (A. oxyrhynchus).

Other aquatic invertebrates include cottonmouth or water moccasin (Agkistrodon piscivorus); water snakes (Nerodia spp.); turtles, including softshell turtles (Apalone spp.) and river cooter (Pseudemys concinna); American alligator (Alligator mississippiensis); frogs; salamanders; and mammals, such as West Indian manatee (Trichechus manatus), muskrat

( Ondatra zibethicus), river otter (Lontra canadensis), and beaver (Castor canadensis).

Common aquatic invertebrates include the aquatic life stages of insects such as caddisflies, mayflies, stoneflies, dragonflies, damselflies, hellgrammites, beetles, midges, and black flies.

Aquatic invertebrates also include freshwater mussels (EIIiptio spp.) and the Asian clam corbicula (Corbicula fluminea), which is an invasive, non-native species. In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has one State-protected aquatic species: a freshwater mussel (Aiasmidonta arcula, Altamaha arcmussel). Asian clam populations have been increasing and may adversely affect the rare, native freshwater mussels by ingestion and displacement of juveniles.

HNP has two nuclear units that use a closed-loop evaporative cooling system that withdraws from and discharges to the Altamaha River through a shoreline intake and offshore discharge structures at river mile [RM] 112 (river kilometer (RKm) 180),* slightly southeast of the U.S. Highway 1 crossing of the Altamaha River. Water withdrawn for the river at the single intake structure is used to replace evaporation and to dilute the buildup of dissolved solids in the closed cycle system. Trash racks remove large debris, and vertical traveling screens with a%-

in. (1-cm) mesh remove smaller material.

The proposed license amendment would not affect the rate of water withdrawal or discharge, but would slightly affect the intake velocity, and w_ould also affect the ratio of water withdrawn and discharged in relation to the river flow. The change in HNP's use of Altamaha River water for cooling and other purposes can affect aquatic resources through impingement of fish on intake screens, entrainment of smaller fish and invertebrates with the intake water, and discharge of heated wastewater. Only these effects are addressed here as specific to the proposed license amendment; other operational effects are addressed in NRC's NUREG-1437, Supplement 4.

Fish impingement rates are low, and SNC estimated that from 1975 through 1980 total fish impingement ranged from 146 to 438 fish per year. Entrainment rates of small fish and invertebrates are also low. SNC estimates that the hydraulic entrainment wo~ld be about 11 percent of the river flow passing the plant under minimum flow conditions without the proposed license amendment and about 11.5 percent with the license amendment. With much of the heat produced by SNC transferred to the atmosphere through evaporation by the closed-loop cooling system, the discharge of heated wastewater in minimal. In support of its discharge permit for the State of Georgia, SNC modeled the thermal discharge under ambient river temperature conditions for summer and winter and historical river and HNP discharge flow rates. The calculated temperature difference between the discharge plume and ambient river temperature

was 2.5 oF (1.4 °C} orless at a distance of 140ft (42.7 m) downstream from the point.of discharge, with a plume surface area of 0.05 ac (0.02 ha) and a plume cross-sectional area 3 percent of the river cross-section. The State of Georgia, not the NRC, regulates the effects of the cooling water intake and discharge, and the NRC relies on the State to protect aquatic resources. Considering the above information, the NRC staff concludes that proposed license amendment would have no significant effects on aquatic resources.

Terrestrial Resources:

Like other Coastal Plain rivers and streams, the Altamaha River meanders across a broad floodplain that has both steep bluff-like features and wide swampy regions. Most of the river flows through mixed forest where evergreen oaks, laurel species, and magnolia are common. Riparian plants found along the river and in forested wetlands include swamp black gum (Nyssa sylvatica), water tupelo (N. aquatica), bald cypress (Taxodium distichum), water hickory ( Carya aquatica), red maple (Acer rubrum), sweetgum (Liquidambar styraciflua), and oaks (Querca spp.). The lower reaches flow through interior swamps and coastal marshes.

In addition to Federally protected species, which are also protected by Georgia and are addressed below, Appling County has several State-protected terrestrial species. Georgia-protected animals include three birds (Aimophila aestivalis, Bachman's sparrow; Elanoides forficatus, swallow-tailed kite; and Haliaeetus /eucocephalus, bald eagle) and a mammal

( Corynorhinus rafinesquii, Rafinesque's big-eared bat). Six Georgia-protected plant species also occur in Appling County: Carex dasycarpa, velvet sedge; Marshal/ia ramosa, pineland Barbara buttons; Penstemon dissectus, cutleaf beardtongue; Sarracenia f/ava, yellow flytrap; Sarracenia minorvar. minor, hooded pitcherplant; and Sideroxylon macrocarpum, Ohoopee bumelia.

The proposed license amendment will not affect terrestrial habitats and so will have no adverse effects on terrestrial species or habitats.

Federally Protected Species:

Under Section 7 of the Endangered Species Act of 1973, as amended (ESA), Federal agencies, in consultation with the U.S. Fish and Wildlife Service (FWS) Or the National Marine Fisheries Service (NMFS) (as appropriate), must insure that any action the agency authorizes, funds, or carries out is not likely to jeopardize the continued existence of any listed species or result in the destruction or adverse modification of critical habitat. On August 31, 2000, the NRC submitted a biological assessment to NMFS regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon and concluded that license renewal may

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affect, but is not likely to adversely affect, the shortnose sturgeon (ADAMS Accession No. ML003746456). The NRC and NMFS then began consultation under ESA Section 7. The NMFS requested that NRC modify the biological assessment to include the effects of periodic maintenance dredging near the intake structure~ In July 2004, NRC submitted to NMFS a revised biological assessment that included more recent information and examined the effects of periodic dredging and that concluded that the HNP may affect, but is not likely to adversely affect the shortnose sturgeon and that the effects would be discountable (ADAMS Accession No. ML041910254). In August 2005, f'.:IMFS concurred with the conclusion of the biological assessment (ADAMS Access.ion No. ML052640354). Detailed information on the effects of HNP operations on shortnose sturgeon can be found in the referenced biological assessment j

and concurrence documents.

In February 2012, the NRC asked the FWS to identify Federally listed species near HNP as part of reviewing SNC's proposed license amendment. The FWS identified the four species shown in the following table as potentially occurring near HNP.

-' 16-Table of Federally Listed Species Occurring in Toombs County, Georgia Common Name Scientific Name ESA Status<a>

Aquatic Invertebrates Altamaha spinymussel Elliptio spinosa E,H Reptiles eastern indigo snake Drymarchon corais couperi T gopher tortoise Gopherus polyphemus c Fish shortnose sturgeon Acipenser brevirostrum E

{a) C = Candidate, E =Endangered, T =Threatened, H = Critical Habitat designated.

Source: U.S. Fish and Wildlife Service (ADAMS Accession No. ML13063A517).

Two of the four listed species, the gopher tortoise and eastern indigo snake, are terrestrial, and the proposed license amendment would have no adverse effect on these species because SNC proposes no modifications to the terrestrial environment.

The mechanisms by which HNP might adversely affect shortnose sturgeon include entraining eggs and early larvae, impinging juveniles and adults, discharging heated effluent that results in physiological or behavioral changes, and affecting prey and other biotic or abiotic constituents of the habitat. Regarding entrainment, the 2004 revised biological assessment found that "[b]oth the design of the plant (location, shoreline intake, closed cycle cooling) and the behavioral characteristics of juvenile and adult shortnose sturgeon lead to the conclusion that impingement of healthy adult and juvenile fish unlikely." For impingement, it found that

"[t]he design and location of the plant (shoreline intake on the opposite side of the thalweg, closed cycle cooling, and the plant not located in any known spawning areas) and the lack of a

confirmed upstream spawning grounds leads the staff to conclude that the site has a very low potential for entrainment of shortnose sturgeon larvae." Regarding the thermal effluent, it found that" ... thermal modeling of the discharge demonstrated that thermal blockage of the river will not occur" and that "[t]he area of temperature rise in the river of a few degrees is limited to a small area just below the outfall even during low flow conditions" so that" ... thermal discharges from the plant will not adversely affect the migration of shortnose sturgeon in the Altamaha River." The relatively small and infrequent increase in intake velocity that may result from the proposed change in the minimum water level in the PSW pump well should not alter the conclusions regarding entrainment or impingement. The characteristics of the thermal effluent during extreme low river flow would change, but SNC reports that the effluent should still comply with the NPDES-permitted limits authorized and monitored by the State of Georgia to protect aquatic resources, including shortnose sturgeon.

Because the license amendment would not change the effects of HNP on shortnose sturgeon, the NRC's 2004 biological assessment conclusion, with which FWS concurred in 2005, would not change: the operation of HNP may affect, but is not likely to adversely affect, the shortnose sturgeon and any effects would be discountable.

The FWS also identified one aquatic invertebrate as listed and possibly occurring near the plant: the endangered Altamaha spinymussel, for which FWS also designated critical habitat in the Altamaha River. The FWS listed the Altamaha spinymussel on October 11, 2011 (76 FR 62939), well after the NRC's 2000 biological assessment for license renewal and its subsequent consultation with NMFS regarding the shortnose sturgeon. The NRC had not considered the potential effects of operation of HNP on the mussel prior to this license amendment request.

In August 2013, the NRC sent a biological assessment for the Altamaha spinymussel to FWS and requested concurrence with its findings (ADAMS Accession No. ML13193A366). The

biological assessment made the following conclusions. The Altamaha spinymussel has historically been found in the main stem of the Altamaha River and its larger tributaries. HNP lies close to the center of its present range. Although FWS has designated critical habitat above and below HNP, critical habitat does not include the Altamaha River near HNP. The NRC staff examined several sources of stress associated with the operation of HNP that the FWS listing announcement suggested might affect the species. The staff found that the potential effects of dredging and sediment contamination, entrainment and impingement of host fish species, trophic interactions, and habitat fragmentation are insignificant or discountable. The staff also foul}d no adverse effects to critical habitat. The staff concluded that the present and future operation of HNP may affect, but is not likely to adversely affect, Altamaha spinymussel and that the present and future operation of HNP would have no effect on Altamaha spinymussel critical habitat. On December 10, 2013, the FWS concurred with NRC's biological assessment and stated that the requirements of Section 7 of the ESA have been satisfied (ADAMS Accession No. ML14006A295).

Radiological Impacts:

In its license amendment application, SNC states that the proposed TS change would not result in or require any physical changes to HNP systems, structures, and components, including those intended for the prevention of accidents. The proposed action to revise the minimum water level in the PSW pump well would not have a significant adverse effect on the probability of an accident occurring or result in an increased radiological hazard beyond those analyzed in the licensee's Updated Final Safety Analysis Report. There will be no change to radiation levels or the types or quantities of radioactive effluents (gaseous or liquid) that affect radiation exposures to plant workers and members of the public. No changes or different types of radiological impacts are expected as a result of the proposed action. Therefore, the

radiological impacts of granting the license amendment would be negligible and would not have a significant adverse effect on the environment.

Cumulative Impacts:

The NRC considered potential cumulative impacts on the environment resulting from the incremental impact of the proposed license amendment when added to other past, present, and reasonably foreseeable future actions. For the purposes of this analysis, past actions are related to the resource COf1ditions when HNP, Units 1 and 2, and were licensed and constructed. Present actions are related to the resource conditions during currerit operations, and future actions are those that are reasonably foreseeable through the end of HNP's current license renewal term and which may be likely to affect the same resources as those considered for the proposed license amendment.

The NRC has not identified any reasonably foreseeable actions within the context of the scope of this environmental assessment. Nevertheless, the proposed operational change to lower the minimum water level in the PSW pump well for normal cooling water withdrawals does not result in or require any physical changes to ,HNP systems, structures, and components. For the resource areas potentially affected by the proposed operational changes (i.e., surface water and groundwater resources, aquatic resources, terrestrial resources, and threatened and endangered species), the contributions of ongoing actions within a region to cumulative impacts are regulated and monitored through a permitting or other regulatory consultation or certification processes (e.g., 401 certification, and NPDES and 404 permits under the Clean Water Act) under State or Federal authority. In these cases, the cumulative impacts are managed as long as the actions are in compliance with their respective permits and conditions of certification.

The proposed license amendment entails no increase in water use or effluents requiring modification of HNP's state-issued surface water withdrawal permit or its NPDES permit that

regulates the discharge of combined process wastewaters to the Altamaha River and their potential nonradiological and radiological effects on water quality and aquatic resources. Thus, there are no incremental contributions to cumulative impacts with respect to these attributes of the proposed action.

The staff also conducted a review of terrestrial and aquatic resources, including threatened and endangered species, that could be impacted by the proposed license amendment. NRC staff prepared a biological assessmentfor the Federally endangered Altamaha spinymussel, as previously described. The staff found that proposed operational changes at HNP may affect, but are not likely to adversely affect the species. The biological assessment was submitted to the U.S. FWS in accordance with consultation requirements under Section 7 of the ESA. In December 2013, the FWS concurred with the staff's biological assessment and findings and concluded that the requirements of Section 7 of the ESA had been satisfied, thus concluding Section 7 informal consultation.

Based on the above, the staff concludes that cumulative impacts would not be significant from implementation of the proposed license amendment.

Alternatives to the Proposed Action:

As an alternative to the proposed action, the NRC staff considered denial of the proposed license amendment (i.e., the "no-action" alternative). Denial of the application would result in no *change in current environmental impacts. However, denial would result in reduced operational flexibility.

Alternative Use of Resources:

The action does not involve the use of any different resources than those previously considered in NUREG-1437, Supplement 4 prepared for license renewal of HNP.

Agencies and Persons Consulted:

In accordance with its stated policy, on February 19, 2014, the staff notified the Georgia State official, Mr. Chuck Mueller, of the Georgia Department of Natural Resources, regarding the environmental impact of the proposed action. The State official had no comments.

Additionally, the staff contacted the FWS in August 2013 as part of soliciting comments and obtaining concurrence on the staff's biological assessment for the Altamaha spinymussel, as part of informal Section 7 consultation under the Endangered Species Act. The FWS's comments and findings with respect to the proposed action have been noted and are further discussed under the sections for Federally Protected Species and Cumulative Impacts in this environmental assessment.

Ill. Finding of No Significant Impact The U.S. Nuclear Regulatory Commission (NRC) is considering issuing an amendment for Renewed Facility Operating License Nos. DPR-57 and NPF-5, issued to Southern Nuclear Operating Company (SNC) for operation of the Edwin I. Hatch Nuclear Plant (HNP), Units 1 and 2, to revise the minimum water level referenced in the Technical Specification (TS) associated with the Limiting Condition for Operation for the plant service water (PSW) system and ultimate heat sink. The TS change would revise the minimum water level in the PSW pump well from 60.7 feet (ft) (18.5 meters [m]) to 60.5 ft (18.4 m) mean sea level.

On the basis of the environmental assessment included in Section II above and incorporated by reference in this finding, the NRC concludes that the proposed action will not have significant effects on the quality of the human environment. The proposed action has no significant impacts on surface water or ground water re~ources, no significant effect on aquatic resources, and no adverse effects on terrestrial species or habitat. In addition, the action is not likely to adversely affect any endangered species or affect a critical habitat, and the radiological

and cumulative impacts are either negligible or are not significant. Accordingly, the NRC decided not to prepare an environmental impact statement for the proposed action.

The environmental documents related to this finding and listed below are available for public inspection and may be inspected online through the NRC's Agencywide Documents

,Access and Management System (ADAMS) at http://www.nrc.gov/reading-rm/adams.html. You may also inspect these documents at the NRC's Public Document Room as discussed in "NRC Agencywide Documents Access and Management System (ADAMS)" above.

Related documents include the following: SNC's December 15, 2011 license

)amendment request (ADAMS Accession No. ML113500108); SNC's subsequent withdrawal of the requestby letter dated April 20, 2012 (ADAMS Accession No. ML12122A113); SNC's resubmittal of the amendment request dated July 5, 2012 (ADAMS Accession No. ML13015A089); SNC's response to NRC's request for additional information dated October 10, 2012 (ADAMS Accession No. ML12284A299); the NRC's May 2001 evaluation of ongoing operational impacts under the renewed license presented in the Generic Environmental Impact Statement for License Renewal of Nuclear Plants: Regarding Edwin I. Hatch Nuclear Plant, Units 1 and 2- Final Report (NUREG-1437, Supplement 4; ADAMS Accession No. ML011420018); NRC's August 31, 2000 biological assessment regarding the effects of SNC's then-proposed license renewal for HNP on the shortnose sturgeon (ADAMS Accession No. ML003746456); NRC's revised biological assessment of July 2004 (ADAMS Accession No. ML041910254); NMFS's concurrence with the conclusion of that biological assessment in August 2005 (ADAMS Accession No. ML052640354); the NRC's August 2013 biological assessment for the Altamaha spinymussel (ADAMS Accession No. ML13193A366); and FWS's

. concurrence with the conclusion in that biological assessment (ADAMS Accession No. ML14006A295).

For further details with respect to the proposed action, see the licensee's application letters dated July 5 and October 10, 2012 (ADAMS Accession Nos. ML13015A089 and ML12284A299).

Dated at Rockville, Maryland, this 2J.j:lh day of J-:<l:ftJ'Y 2014.

)

For the Nuclear Regulatory Commission.

Robert Pascarelli, Chief Plant Licensing Branch 11-1,

  • Division of Operating Reactor Licensing, Office of NuclearReactor Regulation.

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  • LRT ML14027A646 00 FRN 14027 A656 OFFICE NRR/DORULPL2-1 /PM NRR/DORULPL2-1 /LA NRR/DLR/RERB/BC OGC-NLO NAME RMartin SFigueroa DWrona MYoung DATE 02/19/14 02/08/14 01/24/14 02/19/14 OFFICE NRR/DORLILPL2-1 /BC NRR/DORULPL2-1 /BC NAME RPascarelli RMartin DATE 02/24/14 02/24/14 /