ML22194A936

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Environmental Audit Report - Kairos Hermes Test Reactor Construction Permit Application
ML22194A936
Person / Time
Site: Hermes File:Kairos Power icon.png
Issue date: 08/24/2022
From:
Office of Nuclear Material Safety and Safeguards
To:
Office of Nuclear Material Safety and Safeguards
Dozier T
Shared Package
ML22196A387 List:
References
Download: ML22194A936 (18)


Text

SUMMARY

REPORT ON THE ENVIRONMENTAL AUDIT OF KAIROS HERMES TEST REACTOR CONSTRUCTION PERMIT APPLICATION

1.0 Background

The U.S. Nuclear Regulatory Commission (NRC) is currently revie wing an application from Kairos Power, LLC (Kairos) for a construction permit (CP) for a test reactor to be located in Oak Ridge, Tennessee. As part of its review, the NRC is preparing a n Environmental Impact Statement (EIS). An audit was conducted from February 28, 2022, to March 30, 2022, to support the environmental review of Kairos CP application. Thi s report presents a summary of the audits objectives and activities, and information that was obtained as a result of audit activities.

1.1 Application Overview

By letter dated October 31, 2021 (Agencywide Documents Access a nd Management System (ADAMS) ML21306A131), Kairos submitted an Environmental Report (ER) in support of its Hermes CP application. By letters dated February 10, February 1 8, and March 1, 2022, Kairos provided supplemental information regarding its CP application, including the ER (ML22042A095, ML22049B555, and ML22060A272). References to the Kairos ER in this summary report include these revisions.

1.2 Project and Site Overview

The proposed action is for the NRC to issue a CP to Kairos auth orizing construction of the Hermes reactor. In its CP application, Kairos proposes to build and operate the Hermes project to demonstrate key elements of the Kairos Power Fluoride Salt-C ooled, High Temperature Reactor technology for possible future commercial deployment. O peration of the Hermes reactor would not generate any power for sale or distribution. The technology is an advanced nuclear reactor technology that leverages TRI-structural ISOtro pic (TRISO) particle fuel in pebble form combined with a low-pressure fluoride salt coolant. The proposed site is situated in the Heritage Center of the East Tennessee Technology Park, an i ndustrial park established by the City of Oak Ridge, on land formerly owned by the U.S. Depar tment of Energy (DOE) for the Oak Ridge Gaseous Diffusion Plant. The Kairos Hermes ER provide s Kairos analyses of the environmental impacts that could result from building, operatin g, and decommissioning the Hermes test reactor at the proposed site.

2.0 Audit Scope and Objectives

During the audit, the staff discussed environmental matters rel ated to land use, ground and surface water, terrestrial and aquatic ecology, human health, p ostulated accidents, radiological and non-radiological waste, cultural resources, fuel cycle, tra nsportation of radioactive material, alternatives to the proposed action, air quality and noise. The audit allowed the staff to better understand the site, environmental interfaces of the project, a nd modeling results in order to make appropriate environmental findings.

In its initial review of data and information within the corres ponding context of the ER, the staff identified information needs that would promote a better unders tanding of the detailed analysis and bases underlying the construction permit application. These items were included in Attachment 1 of the audit plan presented to Kairos in advance ( ML22056A064). Audit activities consisted of document reviews, virtual meetings organized in ad vance and a few impromptu discussions as documented herein. These activities assisted the NRC and Kairos staff in resolving the information needs that were outlined in the plan. For items that the staff was not able to resolve through document reviews and audit discussions, Kairos submitted information to the Kairos Hermes docket, supplementing its CP application t o provide the necessary information for the staff to make impact determinations in the EIS.

Table 1 of this report presents a list of the NRC staff partici pating in the audit and their associated EIS review areas. Table 2 presents a list of Kairos staff and its contractors who participated in the audit.

Table 1. Review Areas with assigned team members Team Member

Team Member Role / Review Area Ken Erwin Environmental Review Supervisor Tami Dozier Environmental Project Manager Peyton Doub Technical Lead for the EIS; Site and Technical Overview / Proposed Action

/ Land Use and Visual Resources; Ecological Resources / Non-Radiological Human Health; Noise; Alternatives Don Palmrose Radiological Human Health; Transportation of Radioactive Materials; Fuel Cycle and Radiological Waste Management; Postulated Accidents Jennifer Davis Historic and Cultural Resources Joseph Giacinto Water Resources and Hydrogeology; Climate Change Laura Willingham Air Quality Daniel Mussatti Socioeconomics; Environmental Justice; Non-radiological Waste Management; Cost-Benefit Discussion Kevin Folk Adjunct Team Member

Table 2. List of Audit Participants for Kairos Power, LLC and A ECOM

Kairos Power, LLC AECOM Katie Dignan Kevin Taylor Darrell Gardner Carol Freeman Marty Bryan Carlos Szembek Austin Clark Bob Paine Wayne Massie Evelyn Rogers Brian Song Kristen Beckhorn Antonio Fernandez Fang Wang Lori Gross Delia Halliman Per Peterson Jim Orr Gus Merwin Steve Dillard Kieran Dolan Larry Neal Matt Denman Anneliesa Barta Peiwen Whysall Alan Kruizenga Jim Tompkins Ryan Latta Jianxin Liu Jordan Hagaman

2 3.0 Summary of Audit Activities and Issues Addressed

During the first week of the audit, an audit kickoff meeting an d 15 breakout sessions were conducted virtually where the NRC and Kairos staff discussed th e 78 information needs that had been provided to Kairos in the audit plan. For the remaining pe riod of the audit, the staff continued to examine supporting documents and hold follow up di scussions as needed. The staff determined that responses to several items would be neede d on the docket and Kairos agreed to provide that information in supplemental submittals o r as responses to Requests for Confirmatory Information (RCIs).

In order to appropriately document the staffs confirmation of information gathered during the audit which would not otherwise be available in the public doma in, the staff prepared and issued to Kairos a set of 22 RCIs (ML22090A060). Kairos provided all a greed upon supplemental information requested by the staff within 30 days of audit clos ure.

Table 3 presents a tabulated summary of how the information nee ds presented to Kairos in the audit plan were addressed. In summary, 52 of the 78 audit items were closed through audit discussions and staff review of supporting material. Five items required information to be provided by Kairos in supplement al submittals. Twenty-one items were resolved through Kairos response to RCIs (1 audit item required two separate RCIs, resu lting in Kairos responding to 22 separate RCIs.)

4.0 Audit Closeout Meeting

The NRC staff conducted a publicly noticed audit closeout meeti ng on March 30, 2022 (ML22088A212). At the closeout meeting the NRC staff reiterated the purpose of the audit, discussed the audit activities and the information still needed to close all audit items. Kairos shared their expected timeframe for providing the agreed upon s ubmittals expected to close the remaining items. Conditional upon review of the information Kai ros would be providing, the NRC staff stated that they did not anticipate the need for any addi tional information in order to complete their review; however, the staff stressed that the sco ping comment period was still underway and should new information be received from the scopin g process or from other means, additional information from Kairos could become necessar y. The meeting presentation is available at ML22088A225.

Members of the public were provided an opportunity to comment d uring the meeting. Attendees asked questions related to the RCI process and other audit acti vities. Attendees expressed interest in the anticipated date for review deliverables. Table 4 presents the attendance list.

5.0 Post Audit Followup and Current Review Status

As summarized in Table 3, Kairos provided supplemental informat ion to respond to RCIs and to close out those audit information needs requiring that particul ar information be submitted to the docket. By letter dated April 22, 2022, Kairos provided their r esponse to the staffs RCIs (ML2215A204). On April 27, 2022, Kairos provided two submission s to address certain air quality, noise and water resource items requiring information o n the docket (ML22117A215 and ML22117A218). The staff determined all information provided by Kairos to adequately close all information needed from the applicant to conduct their review.

The scoping comment period closed on April 19, 2022, and staff has completed its review of the public comments. To date, the staff has not identified any new information requiring additional

3 requests for information from Kairos. The draft EIS is currentl y on schedule to be issued on or before November 2022.

Table 3: Summary of Audit Information Need Resolution

Info Need ID Information Need Resolution

Site and Technical Overview Briefly outline the ownership history of the site, Closed Through STO-1 and indicate what if any easements or Audit Discussion encumbrances exist on the site property Show estimated, approximate routes for any new utilities that would be constructed, such as sewer lines and incoming electric distribution lines. Note Closed Through STO-2 that section 6.2.1 states that construction would Audit Discussion include "the installation of water and sewer lines that connect the facility to the City of Oak Ridge water supply system."

Cumulative Impacts Closed Through Please provide rough bounding information on Request for CMLT-1 the location and land and water needs for the Confirmatory Fuel Fabrication Facility. Information (RCI #18)

ML22115A204 CMLT-2 Please provide a bounding estimate on the years Closed Through of operation of the Fuel Fabrication Facility. Audit Discussion

Land Use and Visual Resources

The ER does not provide information on the zoning of the site. Indicate the zoning established Closed Through by the City of Oak Ridge for the site. The City Request for LU-1 zoning map indicates IND-2, but the zoning Confirmatory ordinance indicates that industrial facilities Information (RCI #1) handling radioactive materials require IND-3 ML22115A204 zoning. Clarification needed.

Figure 3.7-3 on page 3-145 shows an undeveloped right-of-way-like extension of the LU-2 site proceeding southwest from the site to the Closed Through Clinch River arm of Watts Bar Reservoir. This Audit Discussion extension of the site does not appear on other site maps. Clarification needed.

LU-3 Demonstrate that the proposed facilities would Closed Through not penetrate the air spaces identified as having Request for

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to be free of flight obstructions for the proposed Confirmatory City of Oak Ridge Airport to the south. Information (RCI #2)

ML22115A204 Page 3-77, figure 3.4-2: Should 2 percent Annual Closed Through LU-4 Chance Flood Hazard be 0.2 % percent Annual Audit Discussion Chance Flood Hazard?

Air Quality and Noise Section 3.2.6, p.3-20 states that the nearest Closed Through Post AQN-1 resident is approximately 0.7 mi north of the site; Audit Submittal by but section 4.2.2, p. 4-18 states that the nearest Kairos residence is 1.25 mi away. Clarification needed. (ML22117A218)

Provide additional details as to how the noise Closed Through Post AQN-2 attenuation data in table 4.2-3 were calculated. Audit Submittal by Did the calculations assume leaf-on or leaf-off Kairos conditions? (ML22117A218)

Provide air emission estimates for each criteria pollutant for the construction phase and the operation phase of the project. Provide a Closed Through Post description of the assumptions used to determine Audit Submittal by AQN-3 the estimates (i.e., hours use of differing Kairos equipment during construction). In addition, (ML22117A218) provide the total emission estimate for hazardous air pollutants for both the construction and operation phases of the project.

Water Resources and Hydrogeology As no offsite disposal is planned, please describe any change in the site grade, drainage, or topography as a result of the onsite use of Closed Through excess excavated soil that would have formerly Request for occupied the space of subgrade building Confirmatory HYD-01 structures and foundations, measures or best Information (RCI #3) practices to account for the potential exposure to ML22115A204 contaminated soils and any anticipated coordination with DOE for soil excavation activities.

In section 4.13.3, the ER indicates that "Table 4.13-1 identifies recent past, present, and reasonably foreseeable future actions within the Closed Through Post geographic extent of analysis that can be Audit Submittal by HYD-02 assessed to determine cumulative effects on the Kairos geologic environment." Yet, the geologic (ML22117A218) environment is not listed as a "Potentially Affected Resource(s)" in this table. Please

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explain how the Geologic Environment in section 4.13.3 was evaluated for recent, past, present and reasonably foreseeable future actions, including anticipated fuel fabrication facility that is planned to be built adjacent to the reactor given the lack of mention the Geologic Environment in table 4.13-1.

Clarify the apparent variability of subsurface stratigraphy between ER section 3.3.3.1, ER figure 3.3-3 and PSAR figure 2.5-3 in the area Closed Through HYD-03 crossing the former K-33 site with respect to the Audit Discussion clay profile, associated depths to bottom of clay and the position the Oma (Mascot Dolomite) stratigraphy.

Please define and clarify any implications of the HYD-04 "TVA Flowage Easements" shown in figure 3.4-2 Closed Through adjacent to the reactor facility to anticipated land Audit Discussion use, hydrological resources, and development.

Please explain what is meant by the "...final Closed Through HYD-05 decision on the K-31/K-33 Area groundwater..." Audit Discussion as described in section 3.4.1.2.

Section 3.5.5.3 indicates that the K-901 Holding Closed Through HYD-06 Pond is shown in figure 2.2-1; however, there is Audit Discussion no pond labeled as the K901 Holding Pond.

In section 3.7.2.5, please clarify what constitutes "wet weather" and the frequency of these periods when Rarity Ridge WWTP operates at peak capacity and explain the ability of the Rarity Ridge WWTP to treat the estimated 0.02 MGD of facility wastewater during these periods and any associated potential indirect or direct impacts.

Also, please provide a reference for the Closed Through HYD-07 statement "...the plant is under evaluation for Audit Discussion future growth." and, in section 5.2, a reference for what measures that the city is currently working towards reducing inflow and infiltration coming into the plant." Describe any agreements with Rarity Ridge WWTP for accepting wastewater from the planned facility with respect to anticipated construction and operation dates of the proposed Kairos facility.

Clarify if the estimated facility water use is "44 HYD-08 gpm (0.06 MGD)" as described in ER section Closed Through 3.4.2.3 or "0.07 million gallons per day" as Audit Discussion described in ER section 4.4.2.

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Describe the potential for new underground (wastewater, utility lines, etc.) utilities to act as Closed Through HYD-09 groundwater sinks or sources as described in ER Audit Discussion section 3.4.1.2 and any anticipated monitoring plan provisions.

Based on the discussion in ER section 3.4.2.3, please clarify the intended source of Fire Suppression System's water supply for infrequent use (3,170 gpm/4.56 MGD) including the make-up supply (793 gpm/1.14 MDG) and the Closed Through approximate periods between refills with respect Request for HYD-10 to the capacity of the municipal system. Please Confirmatory confirm that the fire protection system (ER Information (RCI #4) section 2.4.1) and the fire suppression system ML22115A204 (ER section 3.4.2.3) are one in the same and clarify any discrepancies between the slightly different refill rates listed in section 2.4.1 and section 3.4.2.3.

As described in ER section 3.4.1.2.1, "Historically, building basement dewatering significantly altered the mapped potentiometric surface in the areas of the ETTP." and related to dewatering discussion in ER section 4.3.2 and Closed Through section 4.5.1.2, provide an approximate bounding Request for HYD-11 estimate of dewatering rates during the duration Confirmatory of construction, plant operation and Information (RCI #5) decommissioning. If dewatering is planned, ML22115A204 please describe the anticipating dispositioning of the any water volumes including any anticipated DOE consultations to manage the water and, anticipated alterations to the groundwater flow field due to dewatering during operations.

Section 4.8.1.7 states that specific environmental monitoring of non-radiological constituents would be determined through the permitting process.

Section 4.4.4 indicates that"..., no non-Closed Through radiological groundwater monitoring activities are Request for HYD-12 planned for the site." Please clarify permitting Confirmatory requirements for monitoring non-radiological Information (RCI #6) constituents and any apparent inconsistencies ML22115A204 between the statements in section 4.8.1.7 and section 4.4.4 and the disposition of DOE's continuing monitoring program for the K-31/K-33 area.

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Ecological Resources

Page 1-3 of ER states that an onsite field delineation of wetlands and other waters of the ECO-1 United States was conducted on the site. But the Closed Through information presented in section 3.5.6 is Audit Discussion referenced to a 1994 DOE study. Clarification needed.

Indicate the references(s) for the unreferenced Closed Through ECO-2 descriptive information in sections 3.5.7.1 and Audit Discussion 3.5.7.2.

Page 3-92, section 3.5.7.2.2 (Birds) states that a ECO-3 field survey was conducted of the site in June Closed Through 2021. Provide a brief explanation of the Audit Discussion procedures and observations of that survey.

Page 3-92, section 3.5.7.2.2 (Birds) states that a field survey was conducted of the site in June Closed Through ECO-4 2021. Also, table 1.4-2 states that a field survey Audit Discussion identified no eagle nests in the vicinity of the site.

Provide a copy of that survey.

Provide a copy of the IPaC search results forming the basis of section 3.5.11. Also, table Closed Through ECO-5 1.4-2 on page 1-8 states that the applicant has Audit Discussion developed a biological assessment. If so, provide a copy of that biological assessment.

Page 3-101 section 3.5.11.4 states that bald eagles are not known to nest or forage on or Closed Through ECO-6 adjacent to site. Provide basis for this statement. Audit Discussion How can we know that bald eagles are not present in forests around perimeter of site?

Page 4-35, section 4.5.1.5 (Protected Species) states that no suitable [Indiana] bat trees were Closed Through ECO-7 observed in the undisturbed riparian corridor Audit Discussion adjacent to the site. Indicate the basis for this statement.

Page 4-37, section 4.5.2.5 states that no federal or state-listed threatened, endangered or special ECO-8 status plant species have been observed on or in Closed Through the immediate vicinity of the site. Provide the Audit Discussion basis for this statement. Can you quantify what constitutes the "immediate area?"

Please explain why the temporary and Closed Through ECO-9 permanent impact acreages for Audit Discussion herbaceous/grassland impacts in table 4.5-1 total

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88 ac when the table states that the total acreage of that habitat is only 72 ac.

Page 4-33, section 4.5.1.2 states that "Groundwater removed during construction for Closed Through dewatering [of the reactor building excavation] Request for ECO-10 will be properly managed as discussed in section Confirmatory 4.4.1.1.1, That section just states that Kairos Information (RCI #7) would consult with DOE and follow DOE's ML22115A204 recommendations. Please provide more details on how that water would be managed.

Roughly bound the quantity of groundwater that Closed Through might have to be dewatered to excavate for Request for ECO-11 construction of the reactor. Confirmatory Information (RCI #8)

ML22115A204 Page 4-33 section 4.5.1.2 states that stormwater would flow to a stormwater pond and then be ECO-12 discharged to Poplar Creek. Indicate the location Closed Through of the proposed discharge. Page 2-15 states that Audit Discussion Kairos assumes that the stormwater discharge would use an existing outfall.

Cultural and Historical Resources Provide a knowledgeable expert to discuss the historic and cultural resource investigations conducted on or near the proposed project site, HCUL-1 and historic and cultural resources described in Closed Through section 3.6.2. Staff would also like to discuss Audit Discussion potential impacts to historic and cultural resources from the proposed action as they are currently understood and as described in the ER.

In ER table 1.4-1, there is a table entry for Tennessee Department of Transportation HCUL-2 (TDOT) that states that there would be Closed Through construction of a driveway connection to Hwy 58. Audit Discussion Is this land previously disturbed and has it been surveyed for historic and cultural resources?

In ER section 1.4, states that Kairos (in addition to the formal consultations listed in table 1.4-2),

made informal contacts with the National Nuclear HCUL-3 Security Administration, the Bureau of Indian Closed Through Affairs, the Tennessee Department of Audit Discussion Environment and Conservation, the TDOT, and the City of Oak Ridge. The stated purpose was to inform the agencies about the project and to

9 Info Need ID Information Need Resolution

coordinate project planning. Provide a summary of any interactions related to historic and cultural resources as well as any applicable correspondence.

In ER table 1.4-2 Consultations Required for Construction and Operation and ER Section 3.6.4 - Did Kairos engage the Tennessee Historical Commission, Tennessee Division of Closed Through HCUL-4 Archaeology, Native American Nations, DOE, or Audit Discussion the National Park Service while developing its application for this proposed action? If so, provide a summary of any interactions as well as any applicable correspondence.

Provide a knowledgeable expert to discuss DOE-OREM's NEPA and NHPA section 106 consultation and review activities associated with the land transfer to Community Reuse Organization of East Tennessee. ER table 1.4-2 provides a list of statutes that guide required consultations. With respect to Native American Nations, the table lists the Native American Grave Protection and Repatriation Act as one of the applicable statutes. Additionally, in ER section 4.6.1, it states to minimize impacts to historic and cultural resources, Kairos would develop an Archaeological Monitoring and Discovery plan that would specify procedures for addressing and handling the unexpected Closed Through discovery of human remains or archaeological Request for HCUL-5 material during construction. It states that if Confirmatory human remains are discovered, construction Information (RCI #9 personnel will notify a representative of Kairos, and RCI #10) and that representative will contact appropriate ML22115A204 local law enforcement and the DOE historic preservation officer. DOE's 2011 EA (DOE/EA-1640), section 3.6.2.1, states that inadvertent discovery and notification provisions would be contained within lease and/or deed restrictions.

Similarly, the 2017 Quitclaim Deed for the Former K-33 Site includes lease and/or deed restrictions regarding the protection of historic and/or archaeological resources. Since the lands are no longer considered Federal property, provide a summary response to confirm if federal land management requirements still apply as part of any existing lease and/or deed restrictions with respect to the inadvertent discovery and

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protection of historic and cultural resources (such as ARPA and NAGPRA). Provide a summary response to describe any stipulations that Kairos Power must abide with.

In ER section 4.6.1 - Provide a status update on the development of the Archaeological Monitoring and Discovery plan along with any training material that will be used with Closed Through construction personnel regarding the Request for HCUL-6 identification of historic and cultural resources. Confirmatory Will this procedure be developed with input from Information (RCI #11) the Tennessee Historical Commission, ML22115A204 Tennessee Division of Archaeology, or DOE?

Would the plant incorporate any existing DOE-OREM guidance?

In ER section 3.6: DOE-OREM executed several Memorandum of Agreements (MOAs) with respect to the decontamination and decommissioning activities and mitigation of adverse effects to historic properties associated with the K-25 site and East Tennessee HCUL-7 Technology Park (ETTP). In reviewing the 2012 Closed Through final MOA, Execution Plan, and final Mitigation Audit Discussion Plan for the interpretation of historical properties at ETTP (2012 MOA), and the July 31, 2019 amendment, is the Kairos Hermes project located outside the bounds of the K-25 Preservation Footprint Viewshed (see Stipulation 3 of 2019 Amendment)?

In ER section 3.6.2 summarizes previous cultural resource investigations (archaeological and architectural) conducted on and in the vicinity of the ORR since the 1970. Did any of the referenced surveys occur within or overlap with the 185-acre proposed project area? Additionally, in DOE's Environmental Assessment prepared Closed Through HCUL-8 for the Transfer of Land and Facilities within the Audit Discussion ETTP and Surrounding Area, Oak Ridge, Tennessee (DOE/EA-1640), it discusses the location of four National Register of Historic Places -eligible prehistoric archaeological sites in the EA study area. Staff would like to discuss where these sites are in relation to the proposed Kairos site.

HCUL-9 Please make available copies of references listed Closed Through in section 3.6.5 of the ER in the reading room. Audit Discussion

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In ER section 4.6.1, it states that the nearest listed NRHP property is the K-25 Gaseous Diffusion Plant which is part of the Manhattan Project National Park. The ER states that "given the intervening structures between the Closed Through Post site and the K-25 Plant as well as the low profile Audit Submittal by HCUL-10 of the proposed structures on the site, no visual Kairos or other indirect impacts occur." Please describe (ML22117A215) or discuss any architectural surveys conducted for the proposed project to assess indirect (i.e.,

visual) effects to other historic and cultural resources (i.e., historic properties) within the viewshed/indirect effects APE?

Human Health: Non-Radiological

Provide a quantitative bound on what constitutes HHN-1 the "insignificant volumes" of nonradioactive Closed Through liquid chemical wastes to be generated, as stated Audit Discussion on page 4-51.

Provide information on the type and height of Closed Through HHN-2 perimeter fencing and signage to be built around Audit Discussion the proposed facilities.

Provide subject matter expert(s) to discuss chemical hazards regarding the FLiBe salt to be used in the Hermes test reactor. Due to the hazardous nature of beryllium, especially concerning airborne particulates, the staff needs to understand how this beryllium-bearing material will be controlled and monitored for potential beryllium exposure. PSAR section 1.2.1 states "Flibe coolant, while chemically stable, contains potentially toxic constituents including beryllium.

HHN-3 The reactor building and ventilation system Closed Through function as a confinement to manage and control Audit Discussion beryllium hazards..." PSAR section 4.4.1 states "In addition, the biological shield reduces radiation damage to plant equipment and also reduces the potential for Beryllium exposure to reactor personnel." PSAR section 9.2.2 states "In addition, the RBHVAC system ensures that chemical hazards (such as Beryllium) are within applicable limits." However, the ER has no similar discussion regarding occupational and public safety with respect to beryllium.

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Provide the basis for the statement in section 4.8.1.6 that "the facility design and practices Closed Through HHN-4 would ensure compliance with storage Audit Discussion requirements and limit exposures." What practices would be taken to "limit exposures"?

Section 4.8.1.7 states that specific environmental monitoring of non-radiological constituents would HHN-5 be determined through the permitting process. Closed Through Please provide a brief description of what Audit Discussion monitoring activities (if any) might be required in the permits.

Human Health - Radiological Provide a list of the specific radionuclides and Closed Through annual radiological effluents Request for HHR-1 amounts/concentrations applied as input Confirmatory parameter values in the NRCDose calculations. Information (RCI #12)

ML22115A204 Provide in a location accessible by the staff for HHR-2 audit review the NRCDose input and output files Closed Through (i.e., for both XOQDOQ and GASPAR II) for staff Audit Discussion inspection.

Provide subject matter expert(s) to discuss the details of the NRCDose calculations and results Closed Through HHR-3 presented in section 4.8 of the ER and to explain Audit Discussion why table 4.8-3 TEDE values do not include contributions from tritium.

Provide subject matter expert(s) to discuss the Closed Through HHR-4 use of ORR Tower L meteorological data for Audit Discussion NRCDOSE calculations.

Provide a subject matter expert(s) to discuss Closed Through HHR-5 radiological liquid discharges, such as its Audit Discussion sources, collection, and disposal.

Provide a subject matter expert(s) to discuss the Closed Through HHR-6 radiological environmental monitoring of ER Audit Discussion section 4.8.3, Radiological Monitoring.

Make available for staff review the following ER section 3.8 references (Note: if not listed below, then the references were accessible): 1) Ref # 12

- U.S. Department of Energy, "Environmental Closed Through HHR-7 Baseline Survey Report for the Proposed Title Audit Discussion Transfer of the Former K-33 Area at the East Tennessee Technology Park, Oak Ridge, Tennessee." DOE/OR/01-2658. September 2015. 2) Ref # 13 - U.S. Department of Energy,

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"Environmental Baseline Survey Report for the Proposed Title Transfer of the Former K-31 Area at the East Tennessee Technology Park, Oak Ridge, Tennessee." DOE/OR/01-2677. July 2015. 3) Ref # 16-16. Bureau of Labor and Statistics, Hours-based fatal injury rates by industry, occupation, and selected demographic characteristics, Website: [missing hyperlink to website]

Provide information and subject matter expert(s)

HHR-8 to discuss the text in ER section 4.13.8 where the Closed Through Kairos Power Nuclear Fuel Fabrication Facility is Audit Discussion mentioned as a future project.

Fuel Cycle and Radiological Waste Management

Provide subject matter expert(s) to discuss FCRW-1 Kairos's source for HALEU material and the Closed Through related front end fuel cycle process with respect Audit Discussion to table S-3.

Provide subject matter expert(s) to discuss the statement in section 2.7.1: "A manufacturer has FCRW-2 not been decided for the Hermes reactor" and the Closed Through status of developing a Kairos-specific TRISO fuel Audit Discussion fabrication process including sources of HALEU material.

Provide subject matter expert(s) to discuss the use of the Continued Storage Generic Environmental Impact Statement, NUREG-2157 and, as presented in ER section 4.9.1.2, on the expected long-term storage performance of the Closed Through FCRW-3 TRISO coatings (e.g., "degradation rates for Audit Discussion storage systems associated with continued storage of TRISO fuel") based on available supporting data of prior TRISO fuels (e.g., Fort St Vrain reactor and the German pebble bed research reactor).

Provide information and subject matter expert(s) to discuss what is to be done with the spent FCRW-4 TRISO fuel once the facility is decommissioned, Closed Through such as to whether the facility footprint includes a Audit Discussion place for a dry storage facility during or after the cessation of operations.

Provide information and subject matter expert(s) Closed Through FCRW-5 to discuss the disposal of nitrate salt during Audit Discussion decommissioning to include the quantity of

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material and the rational for disposing as either class A or B LLRW.

Provide information and subject matter expert(s) Closed Through to discuss the disposal of tritium-bearing material Request for FCRW-6 used to capture tritium gas by the Tritium Confirmatory Management System (ER section 2.6.1.2.3). Information (RCI #13)

ML22115A204 Provide information and subject matter expert(s) to discuss the storage and disposal of solidified FLiBe salt with respect to: 1) possible off-gassing of florine (due to radiation decomposition) or the release of tritium during long-term storage, 2) the quantity to be disposed of during Closed Through decommissioning, 3) how this waste could be Request for FCRW-7 class C LLRW per 10 CFR 61.55 since there is Confirmatory no limits established for tritium in class B or C Information (RCI #14) wastes under table 2 of ML22115A204 10 CFR 61.55(a)(4), and 4) to confirm that the chemical form of this waste, outside of its radiological content, would meet all acceptance criteria for disposal at WCS (i.e., WCS would accept this waste stream).

Provide subject matter expert(s) to discuss the justification for the statement in ER section 2.6.1.3 that "[t]he facility is not expected to need Closed Through FCRW-8 a gaseous radioactive waste system." given that Audit Discussion is later noted releases will be controlled and a detailed radiological effluent release dose analysis is provided in ER section 4.8.

Provide a subject matter expert(s) to discuss the estimated table 2.6-1 volume of dry active waste (i.e., LLRW) in comparison to the typical annual Closed Through FCRW-9 amount produced by a PWR as described in Rev Audit Discussion 1 of NUREG-1437 section 3.11.1.1 on page 3-154 and to confirm how the approximately 8,800 ft3 per year was determined.

Transportation of Radioactive Material Provide information and subject matter expert(s) Closed Through to discuss the transportation of spent TRISO fuel Request for TR-1 including how TRISO fuel may or may not be Confirmatory bounded by previously analyzed scenarios Information (RCI #15) related to LLWR fuel. ML22115A204 TR-2 Provide subject matter expert(s) to discuss non-Closed Through radiological impacts that would result from an Audit Discussion

15 Info Need ID Information Need Resolution

accident involving the shipment of radioactive material including if or how the scenario would be bounded by previously analyzed scenarios for LLWR fuel.

Provide expected radionuclide activity levels Closed Through (especially for tritium) and disposal acceptance Request for TR-3 levels and subject matter expert(s) to discuss the Confirmatory shipment and disposal of this material at the Information (RCI #16) various commercial LLRW disposal sites. ML22115A204 Provide for staff review the following ER section 4.10.4 references: 1) Ref # 9 - Kairos Power LLC, 2021. Flibe Safety Data Sheet. Issued April Closed Through TR-4 2, 2021. 2) Ref # 10 - SQM, 2014. Sodium Audit Discussion Nitrate Safety Data Sheet. Issued January 2014.

3) Ref # 11 - SQM, 2015. Potassium Nitrate Safety Data Sheet. Issued March 2015

Accidents Provide subject matter expert(s) to discuss the Closed Through information and the results presented in section Request for ACC-1 4.11 of the ER, the related offsite accident Confirmatory consequences concerning the MHA, and the Information (RCI #17) potential for mitigation. ML22115A204 Provide the MHA release source term that Closed Through ACC-2 resulted in the dose consequences presented in Audit Discussion ER table 4.11-1.

Alternatives Provide a map (or a description) showing the Closed Through locations of Potential Sites 1.1 and 1.3 Request for ALT-1 Confirmatory Information (RCI #19)

ML22115A204 Provide maps (preferably as overlays on aerial photographs or topographic maps) clearly indicating the shapes and sizes of the Proposed Closed Through Eagle Rock Site and Proposed Eagle Rock Request for ALT-2 Property (as shown on figure 5.4-3 on page 5-Confirmatory 48). Indicate the approximate size of each. Can Information (RCI #20) you indicate where in the Proposed Eagle Rock ML22115A204 Site where the proposed test reactors would be built under this alternative, or can you indicate that they could be built anywhere within the site.

16 Info Need ID Information Need Resolution

Section 5.4.1.4. Indicate how water needs of the Closed Through proposed test reactor would be met, and how the Request for ALT-3 wastewater would be treated, if the proposed test Confirmatory reactor were to be built at the Eagle Rock Site. Information (RCI #21)

ML22115A204 Provide a copy of the IPaC search results for the Closed Through Eagle Rock site. Request for ALT-4 Confirmatory Information (RCI #22)

ML22115A204 Referring to figure 5.4-5 "Vegetation Types of the Proposed Eagle Rock Site" - explain what is Closed Through ALT-5 meant by the "Bird Point Survey Locations" and Audit Discussion the "Vegetation Transect Locations". What surveys are these a part of?

Table 4. Attendee List for Environmental Audit Close Out Meeti ng, March 30, 2022

Name Affiliation

Dozier, Tami U.S. Nuclear Regulatory Agency (NRC)

Davis, Jennifer NRC Palmrose, Donald NRC Doub, Peyton NRC Glowacki, Brian NRC Willingham, Laura NRC Giacinto, Joseph NRC Miller, Ed NRC Wilkins, Lynnea NRC Marty Bryan Kairos Power, LLC (Kairos)

Austin Clark Kairos Darrell Gardner Kairos Wayne Massie Kairos Peter Hastings Kairos Taylor, Kevin AECOM Freeman, Carol L B AECOM Bergman, Jana member of the public Matis, Lisa Tetra Tech Steven Pope member of the public Generette, Lloyd U.S. Environmental Protection Agency Michelle Byman member of the public Erin Wisler member of the public

17 Rani Franovich The Breakthrough Institute Adam Stein The Breakthrough Institute

18