ML15085A241: Difference between revisions

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{{#Wiki_filter:April 1, 2015 Andrew Mitchell, Director Technological Hazards Division Federal Emergency Management Agency 1800 South Bell Street Arlington, VA  20598-3025 
==SUBJECT:==
EXEMPTION OF CRYSTAL RIVER NUCLEAR GENERATING STATION (UNIT 3) FROM OFF-SITE EMERGENCY PLANNING REQUIREMENTS 
==Dear Mr. Mitchell:==
This is to notify you that on March 30, 2015, the U.S. Nuclear Regulatory Commission (NRC) granted an exemption to Duke Energy Florida, Inc. (DEF) from certain emergency planning requirements in Section 50.47, "Emergency plans," and Appendix E, "Emergency Planning and Preparedness for Production and Utilization Facilities," to Title 10 of the Code of Federal Regulations (10 CFR) Part 50, thereby allowing DEF to discontinue off-site radiological emergency planning activities and reduce the scope of its on-site emergency planning at the Crystal River Unit 3 Nuclear Generating Plant (CR-3). A copy of the NRC's safety evaluation (Agencywide Documents Access and Management System (ADAMS) Accession No. ML15058A906) for the requested exemption is enclosed.
CR-3 is a decommissioning power reactor located at Red Level, Florida in Citrus County, about 5 miles south of Levy County. The site is 7.5 miles northwest of Crystal River, Florida and 90 miles north of St. Petersburg, Florida. CR-3 is situated on the Gulf of Mexico, within the Crystal River Energy Complex. The 10 CFR Part 50 license for CR-3 no longer authorizes operation of the reactor or emplacement or retention of fuel into the reactor vessel, as specified in 10 CFR 50.82(a)(2). DEF is authorized to possess and store spent nuclear fuel at the permanently shutdown and defueled CR-3 facility. Spent fuel is currently stored on-site at CR-3 in a spent fuel pool. The regulations that require each nuclear power reactor licensee to establish and maintain emergency plans and preparedness are set forth in 10 CFR 50.47, and Appendix E to 10 CFR Part 50. The regulations include standards for both on-site and off-site radiological emergency plans. However, when compared to an operating nuclear power plant, the regulations do not take into account the reduced risk of an off-site radiological release at a permanently shutdown and defueled power reactor. The NRC concluded that the emergency planning requirements for CR-3, as modified by the exemptions described in the enclosed safety evaluation, would provide:  (1) an adequate basis for an acceptable state of emergency preparedness; and (2) in conjunction with arrangements made with off-site response agencies, reasonable assurance that adequate protective measures can and will be taken in the event of a radiological emergency at CR-3.   
A. Mitchell  In light of the exemption granted to DEF, the NRC no longer requires the Federal Emergency Management Agency (FEMA) to monitor, review, or report on off-site radiological emergency planning and preparedness activities at CR-3, in accordance with the memorandum of understanding between FEMA and the NRC as contained in Appendix A to 44 Part 353. Emergency planning and preparedness will be limited to on-site activities; notification of off-site authorities in event of an emergency classification; requiring only on-site exercises with the opportunity for off-site response organization participation; and only maintaining arrangements for off-site response organizations (i.e., law enforcement, fire and medical services) that may respond to on-site emergencies as identified in the licensee's permanently defueled emergency plan.
We request that FEMA notify the appropriate State and local governments that the off-site radiological emergency plans, required by 44 CFR 350, will no longer be required for the CR-3 site due to the permanent shut down and defueled condition of the facility. Should you need more information or support in interfacing with State and local government officials on this manner, please contact Joseph Anderson of my staff at (301) 287-9300.        Sincerely,        /RA/        Robert J. Lewis, Director      Division of Preparedness and Response      Office of Nuclear Security and Incident Response 
==Enclosure:==
Letter to Terry Hobbs - Crystal River Nuclear  Plant - Exemptions from certain emergency planning requirements and related safety evaluation (TAC No. MF 2981)  cc:  T. Greten, FEMA  V. Quinn, FEMA    A. Coons, FEMA 
Pkg. ML15085A258      Letter:  ML15085A241     
==Enclosure:==
ML15058A906 OFFICE: TL:NSIR/DPR/ORLOB BC:NSIR/DPR/ORLOB D:NSIR/DPR NAME: MNorris JAnderson RLewis DATE: 03/27/15 03/27/15 03/27/15}}

Revision as of 14:59, 12 June 2018

Letter: Exemption of Crystal River Power Station, Unit 3 from Off-Site Emergency Planning Requirements
ML15085A241
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 04/01/2015
From: Lewis R J
Office of Nuclear Security and Incident Response
To: Mitchell A
Federal Emergency Management Agency
Richard Kinard
References
Download: ML15085A241 (3)


Text

April 1, 2015 Andrew Mitchell, Director Technological Hazards Division Federal Emergency Management Agency 1800 South Bell Street Arlington, VA 20598-3025

SUBJECT:

EXEMPTION OF CRYSTAL RIVER NUCLEAR GENERATING STATION (UNIT 3) FROM OFF-SITE EMERGENCY PLANNING REQUIREMENTS

Dear Mr. Mitchell:

This is to notify you that on March 30, 2015, the U.S. Nuclear Regulatory Commission (NRC) granted an exemption to Duke Energy Florida, Inc. (DEF) from certain emergency planning requirements in Section 50.47, "Emergency plans," and Appendix E, "Emergency Planning and Preparedness for Production and Utilization Facilities," to Title 10 of the Code of Federal Regulations (10 CFR) Part 50, thereby allowing DEF to discontinue off-site radiological emergency planning activities and reduce the scope of its on-site emergency planning at the Crystal River Unit 3 Nuclear Generating Plant (CR-3). A copy of the NRC's safety evaluation (Agencywide Documents Access and Management System (ADAMS) Accession No. ML15058A906) for the requested exemption is enclosed.

CR-3 is a decommissioning power reactor located at Red Level, Florida in Citrus County, about 5 miles south of Levy County. The site is 7.5 miles northwest of Crystal River, Florida and 90 miles north of St. Petersburg, Florida. CR-3 is situated on the Gulf of Mexico, within the Crystal River Energy Complex. The 10 CFR Part 50 license for CR-3 no longer authorizes operation of the reactor or emplacement or retention of fuel into the reactor vessel, as specified in 10 CFR 50.82(a)(2). DEF is authorized to possess and store spent nuclear fuel at the permanently shutdown and defueled CR-3 facility. Spent fuel is currently stored on-site at CR-3 in a spent fuel pool. The regulations that require each nuclear power reactor licensee to establish and maintain emergency plans and preparedness are set forth in 10 CFR 50.47, and Appendix E to 10 CFR Part 50. The regulations include standards for both on-site and off-site radiological emergency plans. However, when compared to an operating nuclear power plant, the regulations do not take into account the reduced risk of an off-site radiological release at a permanently shutdown and defueled power reactor. The NRC concluded that the emergency planning requirements for CR-3, as modified by the exemptions described in the enclosed safety evaluation, would provide: (1) an adequate basis for an acceptable state of emergency preparedness; and (2) in conjunction with arrangements made with off-site response agencies, reasonable assurance that adequate protective measures can and will be taken in the event of a radiological emergency at CR-3.

A. Mitchell In light of the exemption granted to DEF, the NRC no longer requires the Federal Emergency Management Agency (FEMA) to monitor, review, or report on off-site radiological emergency planning and preparedness activities at CR-3, in accordance with the memorandum of understanding between FEMA and the NRC as contained in Appendix A to 44 Part 353. Emergency planning and preparedness will be limited to on-site activities; notification of off-site authorities in event of an emergency classification; requiring only on-site exercises with the opportunity for off-site response organization participation; and only maintaining arrangements for off-site response organizations (i.e., law enforcement, fire and medical services) that may respond to on-site emergencies as identified in the licensee's permanently defueled emergency plan.

We request that FEMA notify the appropriate State and local governments that the off-site radiological emergency plans, required by 44 CFR 350, will no longer be required for the CR-3 site due to the permanent shut down and defueled condition of the facility. Should you need more information or support in interfacing with State and local government officials on this manner, please contact Joseph Anderson of my staff at (301) 287-9300. Sincerely, /RA/ Robert J. Lewis, Director Division of Preparedness and Response Office of Nuclear Security and Incident Response

Enclosure:

Letter to Terry Hobbs - Crystal River Nuclear Plant - Exemptions from certain emergency planning requirements and related safety evaluation (TAC No. MF 2981) cc: T. Greten, FEMA V. Quinn, FEMA A. Coons, FEMA

Pkg. ML15085A258 Letter: ML15085A241

Enclosure:

ML15058A906 OFFICE: TL:NSIR/DPR/ORLOB BC:NSIR/DPR/ORLOB D:NSIR/DPR NAME: MNorris JAnderson RLewis DATE: 03/27/15 03/27/15 03/27/15