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{{#Wiki_filter:0I IPL,10 CFR 50.90L-2014-232 July 22, 2014U.S. Nuclear Regulatory Commission ATTN: Document Control DeskWashington, DC 20555-0001 Turkey Point Units 3 and 4Docket Nos. 50-250 and 50-251Renewed Facility Operating License Nos. DPR-31 and DPR-41
{{#Wiki_filter:0 I IPL, 10 CFR 50.90 L-2014-232 July 22, 2014 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 Turkey Point Units 3 and 4 Docket Nos. 50-250 and 50-251 Renewed Facility Operating License Nos. DPR-31 and DPR-41  


==Subject:==
==Subject:==
 
Response to Request for Additional Information Regarding License Amendment Request No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit  
Response to Request for Additional Information Regarding License Amendment Request No. 231, Application to Revise Technical Specifications to Revise UltimateHeat Sink Temperature Limit


==References:==
==References:==
: 1. Florida Power & Light Company Letter L-2014-216, "License Amendment Request No.231, Application to Revise Technical Specifications to Revise Ultimate Heat SinkTemperature Limit," July 10, 2014.2. Florida Power & Light Company Letter L-2014-226, "License Amendment Request No.231, Application to Revise Ultimate Heat Sink Temperature Limit -Request forEmergency Approval,"
: 1. Florida Power & Light Company Letter L-2014-216, "License Amendment Request No.231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit," July 10, 2014.2. Florida Power & Light Company Letter L-2014-226, "License Amendment Request No.231, Application to Revise Ultimate Heat Sink Temperature Limit -Request for Emergency Approval," July 17, 2014.3. Email from A. Klett (NRC) to R. Tomonto (FPL), "Turkey Point 3 and 4 Request for Additional Information  
July 17, 2014.3. Email from A. Klett (NRC) to R. Tomonto (FPL), "Turkey Point 3 and 4 Request forAdditional Information  
-LAR 231 (TAC MF4392 and MF4393)," July 18, 2014.Per Reference I and pursuant to 10 CFR 50.90, Florida Power & Light Company (FPL)requested an amendment to the Technical Specifications (TS) for the Turkey Point Nuclear Plant (Turkey Point), Units 3 and 4. The proposed amendment would revise the ultimate heat sink (UHS) water temperature limit from I 00°F to 104'F.Per Reference 2, FPL supplemented the July 10, 2014 application requesting NRC to review and approve the amendment request as an emergency amendment.
-LAR 231 (TAC MF4392 and MF4393),"
By email from the NRC Project Manager dated July 18, 2014 [Reference 3], additional information was requested by the NRC staff to complete the review. The enclosure to this letter provides the response to the request for additional information.
July 18, 2014.Per Reference I and pursuant to 10 CFR 50.90, Florida Power & Light Company (FPL)requested an amendment to the Technical Specifications (TS) for the Turkey Point Nuclear Plant(Turkey Point), Units 3 and 4. The proposed amendment would revise the ultimate heat sink(UHS) water temperature limit from I 00°F to 104'F.Per Reference 2, FPL supplemented the July 10, 2014 application requesting NRC to review andapprove the amendment request as an emergency amendment.
The additional information provided in the enclosure to this letter does not impact the no significant hazards determination and environmental considerations previously provided in L-2014-216  
By email from the NRC Project Manager dated July 18, 2014 [Reference 3], additional information was requested by the NRC staff to complete the review. The enclosure to this letterprovides the response to the request for additional information.
[Reference 1].Florida Power & Light Company C o 9760 SW 3 4 4 th St., Florida City. Fl. 33035 L-2014-232 Page 2 of 2 There are no new commitments made in this submission.
The additional information provided in the enclosure to this letter does not impact the nosignificant hazards determination and environmental considerations previously provided inL-2014-216  
If you have any questions or require additional information, please contact Mr. Robert Tomonto at 305-246-7327.
[Reference 1].Florida Power & Light Company C o9760 SW 344th St., Florida City. Fl. 33035 L-2014-232 Page 2 of 2There are no new commitments made in this submission.
I declare under penalty of perjury that the foregoing is true and correct.Executed on: July ,2_?, 2014.Very truly yours, Michael Kiley Vice President Turkey Point Nuclear Plant  
If you have any questions or require additional information, please contact Mr. Robert Tomontoat 305-246-7327.
I declare under penalty of perjury that the foregoing is true and correct.Executed on: July ,2_?, 2014.Very truly yours,Michael KileyVice President Turkey Point Nuclear Plant


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


Response to Request for Additional Information Regarding LAR No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limitcc: USNRC Regional Administrator, Region IIUSNRC Project Manager, Turkey Point Nuclear PlantUSNRC Senior Resident Inspector, Turkey Point Nuclear PlantMs. Cindy Becker, Florida Department of Health L-2014-232 Enclosure Page 1 of 5Response to Request for Additional Information Regarding Turkey Point Units 3 and 4License Amendment Request No. 231Application to Revise Technical Specifications To Revise Ultimate Heat Sink Temperature LimitEnclosure L-2014-232 Enclosure Page 2 of 5NRC RAI 4Pursuant to the Endangered Species Act (ESA) of 1973, as amended, the U.S. Fish and WildlifeService (FWS) issued the NRC a biological opinion for American crocodiles at Turkey Point onMay 5, 2006 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML061430174),
Response to Request for Additional Information Regarding LAR No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit cc: USNRC Regional Administrator, Region II USNRC Project Manager, Turkey Point Nuclear Plant USNRC Senior Resident Inspector, Turkey Point Nuclear Plant Ms. Cindy Becker, Florida Department of Health L-2014-232 Enclosure Page 1 of 5 Response to Request for Additional Information Regarding Turkey Point Units 3 and 4 License Amendment Request No. 231 Application to Revise Technical Specifications To Revise Ultimate Heat Sink Temperature Limit Enclosure L-2014-232 Enclosure Page 2 of 5 NRC RAI 4 Pursuant to the Endangered Species Act (ESA) of 1973, as amended, the U.S. Fish and Wildlife Service (FWS) issued the NRC a biological opinion for American crocodiles at Turkey Point on May 5, 2006 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML061430174), and this biological opinion was subsequently modified on August 1, 2006 (ADAMS Accession No. ML0624201 11). In 2011, the NRC and FWS consulted under the ESA's informal consultation procedures at Title 50 of the Code of Federal Regulations, Section 402.13 regarding the Turkey Point extended power uprate. In its October 25, 2011, letter concluding consultation (ADAMS Accession No. MLI 1306A160), the FWS stated the following:
and this biological opinion was subsequently modified on August 1, 2006(ADAMS Accession No. ML0624201 11). In 2011, the NRC and FWS consulted under theESA's informal consultation procedures at Title 50 of the Code of Federal Regulations, Section 402.13 regarding the Turkey Point extended power uprate. In its October 25, 2011, letterconcluding consultation (ADAMS Accession No. MLI 1306A160),
Because the effects to crocodiles from the possible slight increase in water temperature and salinity in the cooling canals due to the proposed power uprate are unclear, FPL will increase their crocodile monitoring efforts in the project area... Should the monitoring reveal measurable, negative effects on the crocodile in this area, it will be considered additional information involving effects on a listed species and NRC (or FPL on their behalJf should contact the Service to reinitiate consultation.
the FWS stated thefollowing:
Because the effects to crocodiles from the possible slight increase in water temperature and salinity in the cooling canals due to the proposed power uprate are unclear, FPL willincrease their crocodile monitoring efforts in the project area... Should the monitoring reveal measurable, negative effects on the crocodile in this area, it will be considered additional information involving effects on a listed species and NRC (or FPL on theirbehalJf should contact the Service to reinitiate consultation.
Accordingly, the NRC staff are concerned that the LAR to revise the UHS water temperature limit from 100 degrees Fahrenheit  
Accordingly, the NRC staff are concerned that the LAR to revise the UHS water temperature limit from 100 degrees Fahrenheit  
(°F) to 104 'F could adversely affect the population ofFederally threatened American crocodiles (Crocodylus acutus) living on the Turkey Point siteand the designated critical habitat on the plant site.Provide an analysis of the impacts to crocodiles that would result from the temperature increasethat addresses effects to crocodile growth, survival, abundance, and spatial distribution on theTurkey Point site. The analysis should also address any adverse modifications to designated critical habitat on the site. Both the direct impact of the LAR (i.e., increased cooling canalsystem temperatures) and any indirect impacts (e.g., increased salinity resulting from theincreased evaporation rate of higher temperature water) should be addressed.
(°F) to 104 'F could adversely affect the population of Federally threatened American crocodiles (Crocodylus acutus) living on the Turkey Point site and the designated critical habitat on the plant site.Provide an analysis of the impacts to crocodiles that would result from the temperature increase that addresses effects to crocodile growth, survival, abundance, and spatial distribution on the Turkey Point site. The analysis should also address any adverse modifications to designated critical habitat on the site. Both the direct impact of the LAR (i.e., increased cooling canal system temperatures) and any indirect impacts (e.g., increased salinity resulting from the increased evaporation rate of higher temperature water) should be addressed.
FPL ResponseIn 2011, Florida Power & Light Company (FPL) increased the crocodile monitoring in thecooling canal system (CCS). FPL and University of Florida (UF) conducted several years of pre-Uprate crocodile monitoring to assess the spatial distribution, growth and survivorship of thecrocodiles.
FPL Response In 2011, Florida Power & Light Company (FPL) increased the crocodile monitoring in the cooling canal system (CCS). FPL and University of Florida (UF) conducted several years of pre-Uprate crocodile monitoring to assess the spatial distribution, growth and survivorship of the crocodiles.
FPL committed to a minimum of 2 years post-Uprate monitoring to ensure theincrease in temperature and salinity will have no impact to the crocodile population utilizing theCCS. Both Units have been operating in the Uprated mode since June of 2013. The surveysconsist of spotlight surveys every other month (2011-2013) and capture and tagging surveysthree times a year. In 2014, after approval of the Fish and Wildlife Conservation Commission, the spotlight surveys were reduced to quarterly.
FPL committed to a minimum of 2 years post-Uprate monitoring to ensure the increase in temperature and salinity will have no impact to the crocodile population utilizing the CCS. Both Units have been operating in the Uprated mode since June of 2013. The surveys consist of spotlight surveys every other month (2011-2013) and capture and tagging surveys three times a year. In 2014, after approval of the Fish and Wildlife Conservation Commission, the spotlight surveys were reduced to quarterly.
The data indicate that the crocodiles aredistributed in the canals with the most concentrated area in the Southern and SW corner of theCCS.
The data indicate that the crocodiles are distributed in the canals with the most concentrated area in the Southern and SW corner of the CCS.
L-2014-232 Enclosure Page 3 of 5The crocodiles utilize the CCS for courting, nesting and basking.
L-2014-232 Enclosure Page 3 of 5 The crocodiles utilize the CCS for courting, nesting and basking. The data in the table below indicate any increase in temperature and salinity has not had an impact to the crocodiles use of the CCS.Year Spotlight Surveys Number of Number of Observances Captures Nest/Tagged Hatchlings 2011 747 117 15/268 2012 675 93 18/229 2013 646 102 25/429 2014 223' 64 25/398-Through May 2013 and spotlight surveys. In 2014, reduced from Bi-monthly to Quarterly 2 Three more nest expected to hatch FPL has several stations that monitor temperature in the CCS on an hourly basis. Below is a time series temperature plot for 4 of those stations.
The data in the table belowindicate any increase in temperature and salinity has not had an impact to the crocodiles use ofthe CCS.Year Spotlight Surveys Number of Number ofObservances Captures Nest/Tagged Hatchlings 2011 747 117 15/2682012 675 93 18/2292013 646 102 25/4292014 223' 64 25/398-Through May 2013 and spotlight surveys.
The attached map identifies the station locations.
In 2014, reduced from Bi-monthly toQuarterly 2Three more nest expected to hatchFPL has several stations that monitor temperature in the CCS on an hourly basis. Below is atime series temperature plot for 4 of those stations.
The attached map identifies the stationlocations.
Station CCS-3 is a station in the area that is utilized most by the crocodiles.
Station CCS-3 is a station in the area that is utilized most by the crocodiles.
The dataindicates the temperature fluctuates throughout the year with temperature typically peaking in themonth of July. The factor that restricts American crocodiles across their range is access to freshwater for their hatchlings to develop salt excreting glands. The Turkey Point Nuclear PowerPlant Cooling Canal System is an ideal situation in order for the population to recruit moreindividuals.
The data indicates the temperature fluctuates throughout the year with temperature typically peaking in the month of July. The factor that restricts American crocodiles across their range is access to fresh water for their hatchlings to develop salt excreting glands. The Turkey Point Nuclear Power Plant Cooling Canal System is an ideal situation in order for the population to recruit more individuals.
Within the CCS there are numerous fresh water and lower saline ponds wherefemales place the hatchlings for the purpose of developing their salt excreting glands.Joe Wasilewski is a wildlife biologist that specializes in working on the natural history of apexpredators (crocodilians) within wetlands of south Florida.
Within the CCS there are numerous fresh water and lower saline ponds where females place the hatchlings for the purpose of developing their salt excreting glands.Joe Wasilewski is a wildlife biologist that specializes in working on the natural history of apex predators (crocodilians) within wetlands of south Florida. FPL consulted with Mr. Wasilewski and he stated "Since 1978, the numbers of nests and hatchlings have steadily risen, there have been 424 successful nests at Turkey Point and 6,597 hatchlings captured, processed and released.The question remains as to carrying capacity of the cooling canal system. In April of 2005, American crocodiles were down listed from an Endangered Species to a Threatened Species. A major factor in the down listing was the success of the crocodile nesting at Turkey Point. Even though the CCS has historically been a super saline environment, there has always been access to fresh water and less saline refugia. During the normal course of the year the salinity and temperature fluctuates on a seasonal basis. Although the CCS temperatures are rising, the interior ponds should be constant in terms of temperature and salinity content. Crocodiles within the CCS have adapted to these changing salinities and temperature variations.
FPL consulted with Mr. Wasilewski and he stated "Since 1978, the numbers of nests and hatchlings have steadily risen, there havebeen 424 successful nests at Turkey Point and 6,597 hatchlings  
They have the capability for access/egress on a daily basis. They typically use the CCS for feeding, nesting and rearing their young. Otherwise they move into and out of Biscayne Bay, C-107, C-106, the Interceptor Ditch." Based on the information provided by Mr. Wasilewski, a slight increase in temperature would likely have no effect on the Crocodile population using the CCS. FPL will continue to conduct the surveys described about to assess any potential impacts. The next survey is being conducted in August.
: captured, processed and released.
L-2014-232 Enclosure Page 4 of 5 120 110 10 70 --CC5-1 60  60 -CC" 50 1/1/11 7/20/11 2/5/12 8/23/12 3/11/13 9/27/13 4/25/14 Time Series Temperature Plot L-2014-232 Enclosure Page 5 of 5 Figure 1 -Turkey Point Cooling Canal Sample Locationsearth miles~ki I II A}}
The question remains as to carrying capacity of the cooling canal system. In April of 2005,American crocodiles were down listed from an Endangered Species to a Threatened Species.
Amajor factor in the down listing was the success of the crocodile nesting at Turkey Point. Eventhough the CCS has historically been a super saline environment, there has always been access tofresh water and less saline refugia.
During the normal course of the year the salinity andtemperature fluctuates on a seasonal basis. Although the CCS temperatures are rising, the interiorponds should be constant in terms of temperature and salinity content.
Crocodiles within theCCS have adapted to these changing salinities and temperature variations.
They have thecapability for access/egress on a daily basis. They typically use the CCS for feeding, nesting andrearing their young. Otherwise they move into and out of Biscayne Bay, C-107, C-106, theInterceptor Ditch." Based on the information provided by Mr. Wasilewski, a slight increase intemperature would likely have no effect on the Crocodile population using the CCS. FPL willcontinue to conduct the surveys described about to assess any potential impacts.
The next surveyis being conducted in August.
L-2014-232 Enclosure Page 4 of 51201101070 --CC5-160 60 -CC"501/1/11 7/20/11 2/5/12 8/23/12 3/11/13 9/27/13 4/25/14Time Series Temperature Plot L-2014-232 Enclosure Page 5 of 5Figure 1 -Turkey Point Cooling Canal Sample Locations earthmiles~ki I IIA}}

Revision as of 14:24, 9 July 2018

Response to Request for Additional Information Regarding License Amendment Request No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit
ML14204A368
Person / Time
Site: Turkey Point  NextEra Energy icon.png
Issue date: 07/22/2014
From: Kiley M W
Florida Power & Light Co
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
L-2014-232
Download: ML14204A368 (7)


Text

0 I IPL, 10 CFR 50.90 L-2014-232 July 22, 2014 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 Turkey Point Units 3 and 4 Docket Nos. 50-250 and 50-251 Renewed Facility Operating License Nos. DPR-31 and DPR-41

Subject:

Response to Request for Additional Information Regarding License Amendment Request No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit

References:

1. Florida Power & Light Company Letter L-2014-216, "License Amendment Request No.231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit," July 10, 2014.2. Florida Power & Light Company Letter L-2014-226, "License Amendment Request No.231, Application to Revise Ultimate Heat Sink Temperature Limit -Request for Emergency Approval," July 17, 2014.3. Email from A. Klett (NRC) to R. Tomonto (FPL), "Turkey Point 3 and 4 Request for Additional Information

-LAR 231 (TAC MF4392 and MF4393)," July 18, 2014.Per Reference I and pursuant to 10 CFR 50.90, Florida Power & Light Company (FPL)requested an amendment to the Technical Specifications (TS) for the Turkey Point Nuclear Plant (Turkey Point), Units 3 and 4. The proposed amendment would revise the ultimate heat sink (UHS) water temperature limit from I 00°F to 104'F.Per Reference 2, FPL supplemented the July 10, 2014 application requesting NRC to review and approve the amendment request as an emergency amendment.

By email from the NRC Project Manager dated July 18, 2014 [Reference 3], additional information was requested by the NRC staff to complete the review. The enclosure to this letter provides the response to the request for additional information.

The additional information provided in the enclosure to this letter does not impact the no significant hazards determination and environmental considerations previously provided in L-2014-216

[Reference 1].Florida Power & Light Company C o 9760 SW 3 4 4 th St., Florida City. Fl. 33035 L-2014-232 Page 2 of 2 There are no new commitments made in this submission.

If you have any questions or require additional information, please contact Mr. Robert Tomonto at 305-246-7327.

I declare under penalty of perjury that the foregoing is true and correct.Executed on: July ,2_?, 2014.Very truly yours, Michael Kiley Vice President Turkey Point Nuclear Plant

Enclosure:

Response to Request for Additional Information Regarding LAR No. 231, Application to Revise Technical Specifications to Revise Ultimate Heat Sink Temperature Limit cc: USNRC Regional Administrator, Region II USNRC Project Manager, Turkey Point Nuclear Plant USNRC Senior Resident Inspector, Turkey Point Nuclear Plant Ms. Cindy Becker, Florida Department of Health L-2014-232 Enclosure Page 1 of 5 Response to Request for Additional Information Regarding Turkey Point Units 3 and 4 License Amendment Request No. 231 Application to Revise Technical Specifications To Revise Ultimate Heat Sink Temperature Limit Enclosure L-2014-232 Enclosure Page 2 of 5 NRC RAI 4 Pursuant to the Endangered Species Act (ESA) of 1973, as amended, the U.S. Fish and Wildlife Service (FWS) issued the NRC a biological opinion for American crocodiles at Turkey Point on May 5, 2006 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML061430174), and this biological opinion was subsequently modified on August 1, 2006 (ADAMS Accession No. ML0624201 11). In 2011, the NRC and FWS consulted under the ESA's informal consultation procedures at Title 50 of the Code of Federal Regulations, Section 402.13 regarding the Turkey Point extended power uprate. In its October 25, 2011, letter concluding consultation (ADAMS Accession No. MLI 1306A160), the FWS stated the following:

Because the effects to crocodiles from the possible slight increase in water temperature and salinity in the cooling canals due to the proposed power uprate are unclear, FPL will increase their crocodile monitoring efforts in the project area... Should the monitoring reveal measurable, negative effects on the crocodile in this area, it will be considered additional information involving effects on a listed species and NRC (or FPL on their behalJf should contact the Service to reinitiate consultation.

Accordingly, the NRC staff are concerned that the LAR to revise the UHS water temperature limit from 100 degrees Fahrenheit

(°F) to 104 'F could adversely affect the population of Federally threatened American crocodiles (Crocodylus acutus) living on the Turkey Point site and the designated critical habitat on the plant site.Provide an analysis of the impacts to crocodiles that would result from the temperature increase that addresses effects to crocodile growth, survival, abundance, and spatial distribution on the Turkey Point site. The analysis should also address any adverse modifications to designated critical habitat on the site. Both the direct impact of the LAR (i.e., increased cooling canal system temperatures) and any indirect impacts (e.g., increased salinity resulting from the increased evaporation rate of higher temperature water) should be addressed.

FPL Response In 2011, Florida Power & Light Company (FPL) increased the crocodile monitoring in the cooling canal system (CCS). FPL and University of Florida (UF) conducted several years of pre-Uprate crocodile monitoring to assess the spatial distribution, growth and survivorship of the crocodiles.

FPL committed to a minimum of 2 years post-Uprate monitoring to ensure the increase in temperature and salinity will have no impact to the crocodile population utilizing the CCS. Both Units have been operating in the Uprated mode since June of 2013. The surveys consist of spotlight surveys every other month (2011-2013) and capture and tagging surveys three times a year. In 2014, after approval of the Fish and Wildlife Conservation Commission, the spotlight surveys were reduced to quarterly.

The data indicate that the crocodiles are distributed in the canals with the most concentrated area in the Southern and SW corner of the CCS.

L-2014-232 Enclosure Page 3 of 5 The crocodiles utilize the CCS for courting, nesting and basking. The data in the table below indicate any increase in temperature and salinity has not had an impact to the crocodiles use of the CCS.Year Spotlight Surveys Number of Number of Observances Captures Nest/Tagged Hatchlings 2011 747 117 15/268 2012 675 93 18/229 2013 646 102 25/429 2014 223' 64 25/398-Through May 2013 and spotlight surveys. In 2014, reduced from Bi-monthly to Quarterly 2 Three more nest expected to hatch FPL has several stations that monitor temperature in the CCS on an hourly basis. Below is a time series temperature plot for 4 of those stations.

The attached map identifies the station locations.

Station CCS-3 is a station in the area that is utilized most by the crocodiles.

The data indicates the temperature fluctuates throughout the year with temperature typically peaking in the month of July. The factor that restricts American crocodiles across their range is access to fresh water for their hatchlings to develop salt excreting glands. The Turkey Point Nuclear Power Plant Cooling Canal System is an ideal situation in order for the population to recruit more individuals.

Within the CCS there are numerous fresh water and lower saline ponds where females place the hatchlings for the purpose of developing their salt excreting glands.Joe Wasilewski is a wildlife biologist that specializes in working on the natural history of apex predators (crocodilians) within wetlands of south Florida. FPL consulted with Mr. Wasilewski and he stated "Since 1978, the numbers of nests and hatchlings have steadily risen, there have been 424 successful nests at Turkey Point and 6,597 hatchlings captured, processed and released.The question remains as to carrying capacity of the cooling canal system. In April of 2005, American crocodiles were down listed from an Endangered Species to a Threatened Species. A major factor in the down listing was the success of the crocodile nesting at Turkey Point. Even though the CCS has historically been a super saline environment, there has always been access to fresh water and less saline refugia. During the normal course of the year the salinity and temperature fluctuates on a seasonal basis. Although the CCS temperatures are rising, the interior ponds should be constant in terms of temperature and salinity content. Crocodiles within the CCS have adapted to these changing salinities and temperature variations.

They have the capability for access/egress on a daily basis. They typically use the CCS for feeding, nesting and rearing their young. Otherwise they move into and out of Biscayne Bay, C-107, C-106, the Interceptor Ditch." Based on the information provided by Mr. Wasilewski, a slight increase in temperature would likely have no effect on the Crocodile population using the CCS. FPL will continue to conduct the surveys described about to assess any potential impacts. The next survey is being conducted in August.

L-2014-232 Enclosure Page 4 of 5 120 110 10 70 --CC5-1 60 60 -CC" 50 1/1/11 7/20/11 2/5/12 8/23/12 3/11/13 9/27/13 4/25/14 Time Series Temperature Plot L-2014-232 Enclosure Page 5 of 5 Figure 1 -Turkey Point Cooling Canal Sample Locationsearth miles~ki I II A