ML18058A057: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
(Created page by program invented by StriderTol)
Line 21: Line 21:
{{#Wiki_filter:Enclosure REQUEST FOR ADDITIONAL INFORMATION REGARDING ENTERGY OPERATIONS, INC.'S DECOMMISSIONING FUNDING PLAN UPDATE FOR ARKANSAS NUCLEAR ONE, UNITS 1 AND 2, GRAND GULF NUCLEAR STATION, RIVER BEND STATION, AND WATERFORD 3 STEAM ELECTRIC STATION  INDEPENDENT SPENT FUEL STORAGE INSTALLATIONS DOCKET NOS. 72-13, 72-49, 72-50, 72-75  Regulatory Requirement  Pursuant to Title 10 of the Code of Federal Regulations (10 CFR) 72.30(c), at the time of license renewal and at intervals not to exceed 3 years, the decommissioning funding plan (DFP) required to be submitted by 10 CFR 72.30(b) must be resubmitted with adjustments as necessary to account for changes in costs and the extent of contamination. The DFP must update the information submitted with the original or prior approved plan. In addition, the DFP must also specifically consider the effect of the following events on decommissioning costs, as required by 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate. Background  By letter dated December 17, 2015, Entergy submitted, for U.S. Nuclear Regulatory Commission (NRC) staff review and approval, decommissioning funding plan updates (DFP Updates) for the independent spent fuel storage installations (ISFSIs) at Arkansas Nuclear (ANO) Units 1 and 2, Grand Gulf Nuclear Station, River Bend Station, and Waterford 3 Steam Electric Station (Agencywide Documents Access and Management System Accession No. ML15351A523). The NRC staff reviewed Entergy's DFP updates for each ISFSI and believes Entergy's submittal was not sufficient to meet the intent of the requirement in 72.30(c).
{{#Wiki_filter:Enclosure REQUEST FOR ADDITIONAL INFORMATION REGARDING ENTERGY OPERATIONS, INC.'S DECOMMISSIONING FUNDING PLAN UPDATE FOR ARKANSAS NUCLEAR ONE, UNITS 1 AND 2, GRAND GULF NUCLEAR STATION, RIVER BEND STATION, AND WATERFORD 3 STEAM ELECTRIC STATION  INDEPENDENT SPENT FUEL STORAGE INSTALLATIONS DOCKET NOS. 72-13, 72-49, 72-50, 72-75  Regulatory Requirement  Pursuant to Title 10 of the Code of Federal Regulations (10 CFR) 72.30(c), at the time of license renewal and at intervals not to exceed 3 years, the decommissioning funding plan (DFP) required to be submitted by 10 CFR 72.30(b) must be resubmitted with adjustments as necessary to account for changes in costs and the extent of contamination. The DFP must update the information submitted with the original or prior approved plan. In addition, the DFP must also specifically consider the effect of the following events on decommissioning costs, as required by 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate. Background  By letter dated December 17, 2015, Entergy submitted, for U.S. Nuclear Regulatory Commission (NRC) staff review and approval, decommissioning funding plan updates (DFP Updates) for the independent spent fuel storage installations (ISFSIs) at Arkansas Nuclear (ANO) Units 1 and 2, Grand Gulf Nuclear Station, River Bend Station, and Waterford 3 Steam Electric Station (Agencywide Documents Access and Management System Accession No. ML15351A523). The NRC staff reviewed Entergy's DFP updates for each ISFSI and believes Entergy's submittal was not sufficient to meet the intent of the requirement in 72.30(c).
Specifically, the DFP updates do not provide sufficient information to allow the NRC to determine that the events listed in 10 CFR 72.30(c)(1)-(4) have been specifically considered.
Specifically, the DFP updates do not provide sufficient information to allow the NRC to determine that the events listed in 10 CFR 72.30(c)(1)-(4) have been specifically considered.
RAI 1 For each ISFSI, provide a revised DFP that includes the effect on decommissioning costs of each of the events listed in 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate.
RAI 1 For each ISFSI, provide a revised DFP that includes the effect on decommissioning costs of each of the events listed in 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate.}}
}}

Revision as of 23:44, 17 May 2018

Enclosurequest for Additional Information [Letter to J. Giddens Request for Additional Information Regarding Entergy Operations, Inc.'S Decommissioning Funding Plan Update]
ML18058A057
Person / Time
Site: Grand Gulf, Arkansas Nuclear, River Bend, Waterford  Entergy icon.png
Issue date: 02/23/2018
From: Pamela Longmire
Spent Fuel Licensing Branch
To: Giddens J
Entergy Operations
Longmire P
Shared Package
ML18058A055 List:
References
CAC 001028, EPID L-2017-FPR-0005, EPID L-2017-FPR-0029, EPID L-2017-FPR-0060, EPID L-2017-FPR-0073
Download: ML18058A057 (1)


Text

Enclosure REQUEST FOR ADDITIONAL INFORMATION REGARDING ENTERGY OPERATIONS, INC.'S DECOMMISSIONING FUNDING PLAN UPDATE FOR ARKANSAS NUCLEAR ONE, UNITS 1 AND 2, GRAND GULF NUCLEAR STATION, RIVER BEND STATION, AND WATERFORD 3 STEAM ELECTRIC STATION INDEPENDENT SPENT FUEL STORAGE INSTALLATIONS DOCKET NOS. 72-13, 72-49, 72-50, 72-75 Regulatory Requirement Pursuant to Title 10 of the Code of Federal Regulations (10 CFR) 72.30(c), at the time of license renewal and at intervals not to exceed 3 years, the decommissioning funding plan (DFP) required to be submitted by 10 CFR 72.30(b) must be resubmitted with adjustments as necessary to account for changes in costs and the extent of contamination. The DFP must update the information submitted with the original or prior approved plan. In addition, the DFP must also specifically consider the effect of the following events on decommissioning costs, as required by 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate. Background By letter dated December 17, 2015, Entergy submitted, for U.S. Nuclear Regulatory Commission (NRC) staff review and approval, decommissioning funding plan updates (DFP Updates) for the independent spent fuel storage installations (ISFSIs) at Arkansas Nuclear (ANO) Units 1 and 2, Grand Gulf Nuclear Station, River Bend Station, and Waterford 3 Steam Electric Station (Agencywide Documents Access and Management System Accession No. ML15351A523). The NRC staff reviewed Entergy's DFP updates for each ISFSI and believes Entergy's submittal was not sufficient to meet the intent of the requirement in 72.30(c).

Specifically, the DFP updates do not provide sufficient information to allow the NRC to determine that the events listed in 10 CFR 72.30(c)(1)-(4) have been specifically considered.

RAI 1 For each ISFSI, provide a revised DFP that includes the effect on decommissioning costs of each of the events listed in 10 CFR 72.30(c)(1)-(4): (1) spills of radioactive material producing additional residual radioactivity in onsite subsurface material, (2) facility modifications, (3) changes in authorized possession limits, and (4) actual remediation costs that exceed the previous cost estimate.