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{{#Wiki_filter:Pre-application Meeting Regarding the SHINE Medical Technologies Operating License Application: EnvironmentalOffice of Nuclear Reactor RegulationU.S. Nuclear Regulatory CommissionApril 3, 2018 Agenda*Regulatory background*Consideration of new information*Best practices*Format2 Regulatory Background*10 CFR 51.95 (b) requires the NRC staff to prepare a supplemental environmental impact statement (EIS)*The supplemental EIS will:*update the prior staff review for the construction permit*describe matters that differ or that reflect significant new information since publication of the final EIS *The supplemental EIS does not need to include:*a discussion of matters that are the same or that have not changed since publication of the final | {{#Wiki_filter:Pre-application Meeting Regarding the SHINE Medical Technologies Operating License Application: EnvironmentalOffice of Nuclear Reactor RegulationU.S. Nuclear Regulatory CommissionApril 3, 2018 Agenda*Regulatory background | ||
*Consideration of new information | |||
*Best practices | |||
*Format2 Regulatory Background | |||
*10 CFR 51.95 (b) requires the NRC staff to prepare a supplemental environmental impact statement (EIS) | |||
*The supplemental EIS will: | |||
*update the prior staff review for the construction permit | |||
*describe matters that differ or that reflect significant new information since publication of the final EIS | |||
*The supplemental EIS does not need to include:*a discussion of matters that are the same or that have not changed since publication of the final EIS 3 | |||
Regulatory Background | |||
*10 CFR 51.53(b) requires an applicant to prepare an environmental report*The environmental report should: | |||
*discuss matters that differ or that reflect new information since publication of the final EIS*The environmental report does not need to include:*a discussion of matters that are the same or that have not changed 4 | |||
Consideration of New or Different Information | |||
*The applicant should consider all matters described in: *10 CFR 51.45, 51.51, and 51.52*Interim Staff Guidance Augmenting NUREG | |||
-1537, Chapter 19, "Environmental Report." | |||
*The level of detail for each new or different matter should: | |||
*be similar to the level of detail in the construction permit final EIS | |||
*be commensurate with the likelihood of impacts, especially in situations where new or different information could lead to a different conclusion 5 | |||
Consideration of New or Different Information | |||
*Changes to the facility design that could affect the environment, for example: | |||
*building footprint | |||
*excavation depth | |||
*stack height | |||
*construction activities that could affect operations or decommissioning | |||
*Changes to facility operation that could affect the environment, for example: | |||
*number of workers | |||
*new or revised production activities that could change air emissions or dose exposures 6 | |||
Consideration of New or Different Information | |||
*Changes to the natural or physical environment, for example: | |||
*clearing or grading on site | |||
*new activities or facilities surrounding the site | |||
*threatened or endangered species listed or new cultural resource identified since publication of the final EIS | |||
*change in air quality designation | |||
*Changes to the regulatory environment, for example: | |||
*new permits required | |||
*new air quality regulations issued | |||
*New environmental information or studies, for example: | |||
*new environmental studies conducted by the applicant or another organization 7 | |||
Best Practices | |||
*Request pre | |||
-application meetings with the NRC staff | |||
*If no change has occurred, provide a brief basis for that conclusion, such as: | |||
*no new regulations published | |||
*no change to the building design | |||
*no change in the physical or natural environment on and surrounding the site | |||
*Include copies of correspondence with any Federal, State, or local agencies since publication of the final EIS8 Format*Length of environmental report and supplemental EIS commensurate with the number and extent of changes. | |||
*Following a similar format of the previous environmental report may help to ensure completeness, consistency, and accuracy.9 Discussion}} |
Revision as of 00:51, 29 June 2018
ML18096A455 | |
Person / Time | |
---|---|
Site: | SHINE Medical Technologies |
Issue date: | 04/03/2018 |
From: | Moser M R NRC/NRR/DMLR/MENB |
To: | |
Moser M R, NRR/DMLR, 415-6509 | |
References | |
Download: ML18096A455 (10) | |
Text
Pre-application Meeting Regarding the SHINE Medical Technologies Operating License Application: EnvironmentalOffice of Nuclear Reactor RegulationU.S. Nuclear Regulatory CommissionApril 3, 2018 Agenda*Regulatory background
- Consideration of new information
- Best practices
- Format2 Regulatory Background
- 10 CFR 51.95 (b) requires the NRC staff to prepare a supplemental environmental impact statement (EIS)
- The supplemental EIS will:
- update the prior staff review for the construction permit
- describe matters that differ or that reflect significant new information since publication of the final EIS
- The supplemental EIS does not need to include:*a discussion of matters that are the same or that have not changed since publication of the final EIS 3
Regulatory Background
- 10 CFR 51.53(b) requires an applicant to prepare an environmental report*The environmental report should:
- discuss matters that differ or that reflect new information since publication of the final EIS*The environmental report does not need to include:*a discussion of matters that are the same or that have not changed 4
Consideration of New or Different Information
- The applicant should consider all matters described in: *10 CFR 51.45, 51.51, and 51.52*Interim Staff Guidance Augmenting NUREG
-1537, Chapter 19, "Environmental Report."
- The level of detail for each new or different matter should:
- be similar to the level of detail in the construction permit final EIS
- be commensurate with the likelihood of impacts, especially in situations where new or different information could lead to a different conclusion 5
Consideration of New or Different Information
- Changes to the facility design that could affect the environment, for example:
- building footprint
- excavation depth
- stack height
- construction activities that could affect operations or decommissioning
- Changes to facility operation that could affect the environment, for example:
- number of workers
- new or revised production activities that could change air emissions or dose exposures 6
Consideration of New or Different Information
- Changes to the natural or physical environment, for example:
- clearing or grading on site
- new activities or facilities surrounding the site
- threatened or endangered species listed or new cultural resource identified since publication of the final EIS
- change in air quality designation
- Changes to the regulatory environment, for example:
- new permits required
- new air quality regulations issued
- New environmental information or studies, for example:
- new environmental studies conducted by the applicant or another organization 7
Best Practices
- Request pre
-application meetings with the NRC staff
- If no change has occurred, provide a brief basis for that conclusion, such as:
- no new regulations published
- no change to the building design
- no change in the physical or natural environment on and surrounding the site
- Include copies of correspondence with any Federal, State, or local agencies since publication of the final EIS8 Format*Length of environmental report and supplemental EIS commensurate with the number and extent of changes.
- Following a similar format of the previous environmental report may help to ensure completeness, consistency, and accuracy.9 Discussion