ML15138A103: 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 16: Line 16:


=Text=
=Text=
{{#Wiki_filter:Page 1 of 1RULES I /HD ',JL)KKtIVES As of: 5/13/15 2:03 PMReceived:
{{#Wiki_filter:Page 1 of 1 RULES I /HD ',JL)KKtIVES As of: 5/13/15 2:03 PM Received:
April 29, 2015PUBLIC SUBMISSION 7ry 13 PM1 2: IStatus:
April 29, 2015 PUBLIC SUBMISSION 7ry 13 PM1 2: IStatus: PendingPost PUBL C S BM I SION13 H 2 11Tracking No. ljz-8ikk-dywk Comments Due: May 14, 2015 Submission Type: Web Docket: NRC-2015-0088 Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations Comment On: NRC-2015-0088-0001 Biweekly Notice; Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations Document:
PendingPost PUBL C S BM I SION13 H 2 11Tracking No. ljz-8ikk-dywk Comments Due: May 14, 2015Submission Type: WebDocket: NRC-2015-0088 Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations Comment On: NRC-2015-0088-0001 Biweekly Notice; Applications and Amendments to Facility Operating Licenses and Combined LicensesInvolving No Significant Hazards Considerations Document:
NRC-2015-0088-DRAFT-0001 Comment on FR Doc # 2015-08579 Submitter Information Name: Christine Arnott Address: 925 Canal Street Suite 3701 Bristol, PA, 19007 Email: christine@delawareriverkeeper.org General Comment See attached file(s)Attachments DRN LAR letter final SUNSI Review Complete Template = ADM -013 E-RIDS= ADM-03 Add= qsx~ (W-& f6d)https://www.
NRC-2015-0088-DRAFT-0001 Comment on FR Doc # 2015-08579 Submitter Information Name: Christine ArnottAddress:925 Canal StreetSuite 3701Bristol, PA, 19007Email: christine@delawareriverkeeper.org General CommentSee attached file(s)Attachments DRN LAR letter finalSUNSI Review CompleteTemplate
= ADM -013E-RIDS= ADM-03Add= qsx~ (W-& f6d)https://www.
fdms.gov/fdms-web-agency/component/contentstreamer?objectld=0900006481 ac386b&for...
fdms.gov/fdms-web-agency/component/contentstreamer?objectld=0900006481 ac386b&for...
05/13/2015 DELAWARERIVERKEEPER NETWORKKApril 29, 2015Ms. Cindy Bladey,Office of Administration, Mail Stop: OWFN- 12-H08U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 RE: Docket ID NRC-2015-0088, PSEG Nuclear LLC, Hope Creek Generating  
05/13/2015 DELAWARE RIVERKEEPER NETWORKK April 29, 2015 Ms. Cindy Bladey, Office of Administration, Mail Stop: OWFN- 12-H08 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 RE: Docket ID NRC-2015-0088, PSEG Nuclear LLC, Hope Creek Generating Station, Unit 1 (Docket No.50-354), Salem Nuclear Generating Station, Unit Nos. 1 and 2 (Docket Nos. 50-272 and 50-311), Salem County, New Jersey, Date of Amended request: December 9, 2014, Comments regarding License Amendment Request to revise Appendix B of the Renewed Facility Operating Licenses  
: Station, Unit 1 (Docket No.50-354),
Salem Nuclear Generating  
: Station, Unit Nos. 1 and 2 (Docket Nos. 50-272 and 50-311),
SalemCounty, New Jersey, Date of Amended request:
December 9, 2014, Comments regarding LicenseAmendment Request to revise Appendix B of the Renewed Facility Operating Licenses


==Dear Ms. Parker,==
==Dear Ms. Parker,==
The Delaware Riverkeeper Network urges you to deny the submitted license amendment request(LAR) by PSEG Nuclear LLC to revise Appendix B of the Renewed Facility Operating Licenses for SalemNuclear Generating Station andiHope Creek Generating Station.
The Delaware Riverkeeper Network urges you to deny the submitted license amendment request (LAR) by PSEG Nuclear LLC to revise Appendix B of the Renewed Facility Operating Licenses for Salem Nuclear Generating Station andiHope Creek Generating Station. We disagree with the proposed determination that the amendment requests involve no significant hazards consideration.
We disagree with the proposeddetermination that the amendment requests involve no significant hazards consideration.
Furthermore, we request that a hearing be conducted regarding this LAR request and before the U.S: Nuclear Regulatory Commission (NRC) issues the amendment.
Furthermore, werequest that a hearing be conducted regarding this LAR request and before the U.S: Nuclear Regulatory Commission (NRC) issues the amendment.
This proposal by PSEG would eliminate the requirement to send an Annual Environmental Operating Report along with important notifications to your regulators at the NRC. Included among the requirements that PSEG wants to eliminate are reporting important information on fish kills and incidents involving endangered species, on unanticipated emergency discharge of wastewater or chemical substances, and on unusual environmental events. Furthermore, PSEG wants to stop reporting details on permit amendments or renewals involving pollution discharge permits overseen by New Jersey. This is particularly concerning because the State of New Jersey has allowed the plant to operate with an expired discharge permit since 2006. Due to the lack of continuous State oversight, any "duplication of reports" that currently occurs is necessary to ensure full compliance with regulations and full protection of the environment.
This proposal by PSEG would eliminate the requirement to send an Annual Environmental Operating Report along with important notifications to your regulators at the NRC. Included among therequirements that PSEG wants to eliminate are reporting important information on fish kills and incidents involving endangered  
The NRC must consistently and aggressively enforce its regulations to protect the public and environment.
: species, on unanticipated emergency discharge of wastewater or chemical substances, and on unusual environmental events. Furthermore, PSEG wants to stop reporting details on permitamendments or renewals involving pollution discharge permits overseen by New Jersey. This is particularly concerning because the State of New Jersey has allowed the plant to operate with an expired discharge permit since 2006. Due to the lack of continuous State oversight, any "duplication of reports" that currently occurs is necessary to ensure full compliance with regulations and full protection of the environment.
The Delaware Riverkeeper Network is opposed to this LAR, and we urge you to deny it.Furthermore, we request a hearing regarding this application so that the public is fully aware of the proposal and has an opportunity to speak on the possible effects any decision would have on impacted parties, communities, and individuals.
The NRC must consistently and aggressively enforce its regulations to protect the public andenvironment.
The Delaware Riverkeeper Network is opposed to this LAR, and we urge you to deny it.Furthermore, we request a hearing regarding this application so that the public is fully aware of the proposaland has an opportunity to speak on the possible effects any decision would have on impacted parties,communities, and individuals.
Thank you in advance for your consideration.
Thank you in advance for your consideration.
DELAWARE RIVERKEEPER NETWORK925 Canal Street, Suite 3701Bristol, PA 19007Office: (215) 369-1 188fax: (215)369-1181 drn@delawareriverkeeper.org www.delawareriverkeeperorg Sincerely, Maya K. van Rossumthe Delaware Riverkeeper cc: Prosanta Chowdhury, Michael Eudy, NRC Office of New ReactorsPage 2 of 2}}
DELAWARE RIVERKEEPER NETWORK 925 Canal Street, Suite 3701 Bristol, PA 19007 Office: (215) 369-1 188 fax: (215)369-1181 drn@delawareriverkeeper.org www.delawareriverkeeperorg Sincerely, Maya K. van Rossum the Delaware Riverkeeper cc: Prosanta Chowdhury, Michael Eudy, NRC Office of New Reactors Page 2 of 2}}

Latest revision as of 03:57, 9 July 2018

Comment (1) of Christine Arnott Opposing Behalf of Delaware River Keeper on Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations
ML15138A103
Person / Time
Site: Salem, Hope Creek  PSEG icon.png
Issue date: 04/29/2015
From: Arnott C
Delaware Riverkeeper Network
To:
Rules, Announcements, and Directives Branch
SECY RAS
References
80FR20020 00001, NRC-2015-0088
Download: ML15138A103 (3)


Text

Page 1 of 1 RULES I /HD ',JL)KKtIVES As of: 5/13/15 2:03 PM Received:

April 29, 2015 PUBLIC SUBMISSION 7ry 13 PM1 2: IStatus: PendingPost PUBL C S BM I SION13 H 2 11Tracking No. ljz-8ikk-dywk Comments Due: May 14, 2015 Submission Type: Web Docket: NRC-2015-0088 Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations Comment On: NRC-2015-0088-0001 Biweekly Notice; Applications and Amendments to Facility Operating Licenses and Combined Licenses Involving No Significant Hazards Considerations Document:

NRC-2015-0088-DRAFT-0001 Comment on FR Doc # 2015-08579 Submitter Information Name: Christine Arnott Address: 925 Canal Street Suite 3701 Bristol, PA, 19007 Email: christine@delawareriverkeeper.org General Comment See attached file(s)Attachments DRN LAR letter final SUNSI Review Complete Template = ADM -013 E-RIDS= ADM-03 Add= qsx~ (W-& f6d)https://www.

fdms.gov/fdms-web-agency/component/contentstreamer?objectld=0900006481 ac386b&for...

05/13/2015 DELAWARE RIVERKEEPER NETWORKK April 29, 2015 Ms. Cindy Bladey, Office of Administration, Mail Stop: OWFN- 12-H08 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 RE: Docket ID NRC-2015-0088, PSEG Nuclear LLC, Hope Creek Generating Station, Unit 1 (Docket No.50-354), Salem Nuclear Generating Station, Unit Nos. 1 and 2 (Docket Nos. 50-272 and 50-311), Salem County, New Jersey, Date of Amended request: December 9, 2014, Comments regarding License Amendment Request to revise Appendix B of the Renewed Facility Operating Licenses

Dear Ms. Parker,

The Delaware Riverkeeper Network urges you to deny the submitted license amendment request (LAR) by PSEG Nuclear LLC to revise Appendix B of the Renewed Facility Operating Licenses for Salem Nuclear Generating Station andiHope Creek Generating Station. We disagree with the proposed determination that the amendment requests involve no significant hazards consideration.

Furthermore, we request that a hearing be conducted regarding this LAR request and before the U.S: Nuclear Regulatory Commission (NRC) issues the amendment.

This proposal by PSEG would eliminate the requirement to send an Annual Environmental Operating Report along with important notifications to your regulators at the NRC. Included among the requirements that PSEG wants to eliminate are reporting important information on fish kills and incidents involving endangered species, on unanticipated emergency discharge of wastewater or chemical substances, and on unusual environmental events. Furthermore, PSEG wants to stop reporting details on permit amendments or renewals involving pollution discharge permits overseen by New Jersey. This is particularly concerning because the State of New Jersey has allowed the plant to operate with an expired discharge permit since 2006. Due to the lack of continuous State oversight, any "duplication of reports" that currently occurs is necessary to ensure full compliance with regulations and full protection of the environment.

The NRC must consistently and aggressively enforce its regulations to protect the public and environment.

The Delaware Riverkeeper Network is opposed to this LAR, and we urge you to deny it.Furthermore, we request a hearing regarding this application so that the public is fully aware of the proposal and has an opportunity to speak on the possible effects any decision would have on impacted parties, communities, and individuals.

Thank you in advance for your consideration.

DELAWARE RIVERKEEPER NETWORK 925 Canal Street, Suite 3701 Bristol, PA 19007 Office: (215) 369-1 188 fax: (215)369-1181 drn@delawareriverkeeper.org www.delawareriverkeeperorg Sincerely, Maya K. van Rossum the Delaware Riverkeeper cc: Prosanta Chowdhury, Michael Eudy, NRC Office of New Reactors Page 2 of 2