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Category:Rulemaking-Comment
MONTHYEARML24298A0652024-10-23023 October 2024 Comment (010) from Kati R. Austgen on Behalf of the Nuclear Energy Institute on PR-50, 52 and 73 - Alternative Physical Security Requirements for Advanced Reactors ML24264A1122024-09-20020 September 2024 Comment (008) from Martin J. 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Uhle on Behalf of the Nuclear Energy Institute on PR-52 - NuScale Small Modular Reactor Design Certification ML21287A1462021-09-30030 September 2021 Comment (008) of Nuclear Energy Institute on PRM-50-119 - Access to the Decommissioning Trust Fund for the Disposal of Large Components ML21274A0702021-09-28028 September 2021 Comment (062) of Douglas True on Behalf of the Nuclear Energy Institute on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML21265A4442021-09-15015 September 2021 Comment (007) of Marcus Nichol on Behalf of the Nuclear Energy Institute on PR-2,21,26,50,51,52,55,73 - Alignment of Licensing Processes and Lessons Learned from New Reactor Licensing ML21244A3312021-08-31031 August 2021 Comment (061) of Marcus Nichol on Behalf of Nuclear Energy Institute on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML22133A2292021-08-30030 August 2021 EPFAQ 2021-001 Clarification of Section 4.3 of NUREG-7002, Criteria for Development of Evacuation Time Estimate Studies, Regarding Acceptable Error And/Or Confidence Interval ML21203A2252021-07-21021 July 2021 Comment (006) of Martin O'Neill on Behalf of Nuclear Energy Institute on ANPR-51 - Categorical Exclusions from Environmental Review ML21197A1032021-07-16016 July 2021 Comment (056) of Marcus Nichol on Behalf of the Nuclear Energy Institute on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML21196A4982021-07-14014 July 2021 Comment (054) Submitted by Nuclear Energy Institute on Behalf of Multiple Stakeholders as Unified Industry Position on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML21168A0952021-06-15015 June 2021 Comment (002) from the Nuclear Energy Institute on PRM-37-2 - Advance Tribal Notification of Certain Radioactive Material Shipments ML21166A1192021-06-14014 June 2021 Comment (045) of David Young on Behalf of Nuclear Energy Institute (NEI) on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML21145A1722021-05-25025 May 2021 Comment (004) of Thomas Basso on Behalf of Nuclear Energy Institute on PR-50 - American Society of Mechanical Engineers 2019-2020 Code Editions ML21144A2892021-05-20020 May 2021 Comment (024) of William Gross on Behalf of Nuclear Energy Institute Regarding PR-26 - Fitness for Duty Drug Testing Requirements ML21144A1642021-05-14014 May 2021 Comment (005) of Marcus Nichol on Behalf of the Nuclear Energy Institute on PR-2,21,26,50,51,52,55,73 - Alignment of Licensing Processes and Lessons Learned from New Reactor Licensing ML21095A1002021-04-0101 April 2021 Comment (006) from the Nuclear Energy Institute on PR-50 - Approval of American Society of Mechanical Engineers' Code Cases ML21083A2882021-03-24024 March 2021 Comment (005) of Jennifer Uhle on Behalf of Nuclear Energy Institute on PR-15, 170 & 171 - Revision of Fee Schedules; Fee Recovery for Fy 2021 ML21068A3572021-03-0909 March 2021 Comment Period Extension Request of Marcus Nichol on Behalf of the Nuclear Energy Institute on PR-2,21,26,50,51,52,55,73 - Alignment of Licensing Processes and Lessons Learned from Nr Licensing ML21068A0972021-03-0808 March 2021 Comment (004) of Douglas True on Behalf of Nuclear Energy Institute (NEI) on PR-30, 40, 50, 70, and 72 - Alternatives to the Use of Credit Ratings ML21042B8892021-02-11011 February 2021 Comment (016) of Marcus Nichol on Behalf of Nuclear Energy Institute (NEI) on PR-53 - Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors ML21048A3602021-02-0101 February 2021 Comment (004) of Ellen C. 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Slider on Behalf of the Nuclear Energy Institute on PR-Chap 1- Retrospective Review of Administrative Requirements ML20077K3382020-03-16016 March 2020 Comment (003) from Jennifer Uhle on Behalf of the Nuclear Energy Institute on PR-170 and 171 - Revision of Fee Schedules; Fee Recovery for Fiscal Year 2020 ML19338D2552019-12-0202 December 2019 Comment (017) of William Gross on Behalf of the Nuclear Energy Institute Regarding PR-026 - Fitness for Duty Drug Testing Requirements ML19325C8352019-11-19019 November 2019 Comment (043) of Janet Schlueter from the Nuclear Energy Institute on PR-061 - Greater-Than-Class-C and Transuranic Waste ML19228A1842019-08-15015 August 2019 Comment (07) of Michael Tschiltz on Behalf of Nuclear Energy Institute on PR-50, 52, 73 - Physical Security for Advanced Reactors ML16068A2522019-07-30030 July 2019 Mitigation Beyond-Design-Basis Events Proposed Rule Comment (9) - NEI (Annotated) Original Submission Dated February 9, 2016 (ML16041A445) 2024-09-20
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PRM-50-119 8 84FR27209 DOUGLAS E. TRUE Senior Vice President and Chief Nuclear Officer 1201 F Street, NW, Suite 1100 Washington, DC 20004 P: 202.739.8083 det@nei.org nei.org September 30, 2021 Ms. Margaret Doane Executive Director of Operations U.S. Nuclear Regulatory Commission Washington, DC 20555-0001
Subject:
Use of NDT Funds During Operations to Dispose of Major Radioactive Components Project Number: 689
Dear Ms. Doane:
On February 22, 2019, EnergySolutions submitted a petition requesting amendments to 10 CFR 50.2 and
§50.82 to allow the use of decommissioning funds to dispose of major radioactive components that are removed from commercial power reactors prior to the permanent cessation of operations (PRM-50-119). 1 On June 3, 2021, EnergySolutions submitted a letter containing additional information supporting its February 2019 petition. 2 I am writing to express NEIs 3 support for the premise put forth in PRM-50-119 and EnergySolutions June 2021, letter. Specifically, NEI fully supports the NRCs reconsideration of whether, under certain conditions, the agency should permit licensees to use decommissioning funds for the disposal of major radioactive components (MRC) that are taken out of service prior to permanent cessation of plant operations.
As described in EnergySolutions June 2021 letter, there are approximately 15 reactor heads and approximately 127 steam generators stored on nuclear power plant sites across the country and awaiting disposal. These MRCs constitute approximately 631,000 cubic feet of radioactive waste. Currently, licensees are not permitted to use decommissioning funds to dispose of these MRCs until after permanent shutdown of the facility. 4 As a result, most of these components will be stored on-site until licensees gain access to decommissioning funds after permanent shutdown.
1 Rulemaking Petition to Amend 10 C.F.R. § 50.2 and 10 C.F.R. § 50.82, Feb. 22, 2019 (PRM-50-119).
2 Letter from G. van Noordennen (EnergySolutions) to A.L. Vietti-Cook (NRC), Rulemaking Petition to Amend 10 C.F.R. § 50.2 and 50.82, June 3, 2021.
3 The Nuclear Energy Institute (NEI) is responsible for establishing unified policy on behalf of its members relating to matters affecting the nuclear energy industry, including the regulatory aspects of generic operational and technical issues. NEIs members include entities licensed to operate commercial nuclear power plants in the United States, nuclear plant designers, major architect and engineering firms, fuel cycle facilities, nuclear materials licensees, and other organizations involved in the nuclear energy industry.
4 See 10 C.F.R. § 50.82(a)(8).
Ms. Margaret Doane September 30, 2021 Page 2 With many plants extending their operation from 40 to 60 or even 80 years, the industry expects additional turnover of MRCs prior to permanent cessation of plant operations. At the same time, the extended investment horizon presented by license renewal and subsequent license renewal will likely result in healthy decommissioning trust funds growing to levels that significantly exceed the amount necessary to provide reasonable funding assurance. 5 Thus, NEI believes it is timely for the NRC to review its position on this issue.
The benefits of facilitating MRC disposal during plant operation include:
- Reducing the inventory of stored radioactive materials at nuclear power plant sites;
- Spreading the flow of MRC to disposal sites over time, avoiding potential transportation and processing constraints in the future as more plants decommission simultaneously; and
- Avoiding uncertainty associated with future changes in waste transportation and disposal costs.
We understand that the NRCs first priority is to ensure that decommissioning trust funds are maintained at a level that provides reasonable assurance that adequate funds will be available for decommissioning when necessary. The industry shares this priority and the Petition appropriately focuses on the importance of ensuring the adequacy of decommissioning trust funds. Further, we believe that criteria can be developed to allow use of decommissioning funds for MRC disposal during operation in a manner that does not jeopardize the licensees ability to adequately fund site decommissioning. NEI is prepared to contribute to the development of such criteria.
In closing, we are aware that there is significant interest in this concept among both licensees that are currently storing MRCs and companies that provide disposal services.
Thank you for your consideration of our views on this matter. If you have any questions or would like to discuss this issue further, please contact Bruce Montgomery of my staff at bsm@nei.org.
Sincerely, Douglas E. True Cc: John Lubinski, NMSS John Tappert, NMSS/REFS Patricia Holahan, NMSS/DUWP 5
While maintaining its position that, generally, the staff should strictly construe the agencys regulations to prohibit withdrawal of funds while decommissioning trusts are accumulating, the Commission has recognized that the extended investment timelines associated with license renewal could result in the accumulation of gains that cause the decommissioning fund to far exceed any amount necessary to weather severe economic downturns and decommissioning cost increases and thus, on a case-by-case basis, some withdrawals could be appropriate.
Staff Requirements - SECY-02-0085 - Recent Issues with Respect to Decommissioning Funding Assurance that have Arisen as Part of License Transfer Applications and Other Licensing Requests, Jan. 3, 2003.