ML14107A066
ML14107A066 | |
Person / Time | |
---|---|
Site: | Callaway |
Issue date: | 04/04/2014 |
From: | Stout R State of MO, Dept of Natural Resources |
To: | Bladey C K Rules, Announcements, and Directives Branch |
References | |
79FR10200 00005, NRC-2012-0001, NUREG-1437 | |
Download: ML14107A066 (8) | |
Text
Page 1 of 1PUBLIC SUBMISSION As of: April 08, 2014Received:
April 04, 2014Status: Pending-Post Tracking No. ljy-8bck-14aw Comments Due: April 07, 2014Submission Type: WebDocket: NRC-2012-0001 Receipt and Availability of Application for License RenewalComment On: NRC-2012-0001-0008 License Renewal Application for Callaway Plant, Unit 1; Draft Supplemental Generic Environmental ImpactStatement Document:
NRC-2012-0001-DRAFT-0006 Comment on FR Doc # 2014-03845 1ý9/co //)C* /ý/-Submitter Information 7,"/'A'Name: Robert StoutGeneral CommentSee attached file(s)Attachments Callaway Relicense SEIS comments MDNR 4-4-2014711'911rri'--r-T-C/'SUNSI Review CompleteTemplate
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04/08/2014 (S7T'iE $ 'AJR' Jeremiah W (Jay) Nixon, Governor
- Sara Parker Pauley, DirectorNT OF NATURAL RESOURCES""www.dnr.mo.gov April 4, 2014Ms. Cindy Bladey, Chief, Rules, Announcements, and Directives Branch 15 (RADB)Division of Administrative
- Services, Office of Administration Mail Stop: 16 3WFN-06-44M U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Re: Generic Environmental Impact Statement for License Renewal of Nuclear Plants,Supplement 51, Regarding Callaway Plant Unit 1, NUREG-1437
Dear Ms. Bladey:
The Missouri Department of Natural Resources (department) offers the following comments onthe Supplemental Environmental Impact Statement for the license renewal of the Callaway PlantUnit 1.Proposed Project SummaryThe U.S. Nuclear Regulatory Commission licenses the operation of domestic nuclear powerplants in accordance with the Atomic Energy Act of 1954 as amended and associated regulations.
Union Electric
- Company, a subsidiary of Ameren Corporation and doing business asAmeren Missouri (licensee),
operates Callaway Unit 1 near Fulton, in Callaway County,Missouri, pursuant to Nuclear Regulatory Operating License NPF-30 (expires October 18, 2024)under Docket Number 050-00483.
The U.S. Nuclear Regulatory Commission prepared the draft Supplemental Environmental Impact Statement (SEIS) as a result of Ameren's application to renew the Callaway Unit 1operating license.
The purpose and need for the proposed action, renewal of an operating license,is to provide an option that allows for power generation capability beyond the term of the currentnuclear power plant operating license to meet future system generating needs. The renewedoperating license would, allow Unit I to operate an additional 20 years beyond its currentoperating period of 40 years until 2044.Water QualityClean Water Act Section 401 Water Oualitv Certification (WOC): The department haspreviously determined that a WQC would not be needed for the reissuance of the NuclearRegulatory Commission license since the current National Pollutant Discharge Elimination System Permit No. MO-0098001 effectively addresses water quality protection at the facility.
- However, future projects that would impact water resources, such as expansion of ponds, streamcrossings or Missouri River dredging activities, may require a Section 404 permit. Maintenance 0
P.pe activities may or may not be covered under a pre-certified permit depending on the type, size andlocation of the activity.
In such events, the licensee would need to contact the USACE'sRegulatory Branch in the Kansas City District at (816) 389-3990 and the department's 401Certification Unit at (573) 751-1300 for more information.
National Wetland Inventory:
Mapping data shows that there are potentially several wetlands nearthe Missouri River intake structure.
Dredged material may not be placed in wetlands withoutproper due diligence.
Ecological Drainage Unit: The facility lies within the Ozark/Moreau/Loutre Ecological DrainageUnit.Watersheds:
The northwest part of the facility area drains to the north into Hydrologic Unit Code1030010215 04 Cow Creek Sub-Watershed; the eastern half of the facility drains to the east andsouth into Hydrologic Unit Code 10300102 16 05 Logan Creek Sub-Watershed; and thesouthwest part of the facility drains to the south into Hydrologic Unit Code 10300102 16 06 DeerCreek -Missouri River Sub-Watershed.
Ecological drainage units and watershed locations may be needed should, after avoiding andminimizing impacts to water resources, mitigation be required.
Classified Streams:
Logan Creek, Water Body Identification Number 704, is classified for 5.8miles as an intermittently flowing water with the designated beneficial uses of protection ofaquatic life and human health-fish consumption, livestock and wildlife
- watering, and whole bodycontact recreation-Category B. The Missouri River, Water Body Identification Number 701, isclassified for 135 miles as a permanently flowing water with the designated beneficial uses ofprotection of aquatic life and human health-fish consumption, livestock and wildlife
- watering, drinking water supply, industry, irrigation, secondary contact recreation and whole body contactrecreation-Category B. Through their designated beneficial uses, the streams shall be protected bynumeric water quality criteria contained in 10 CSR 20-7.031(4) and Table A.Unclassified Streams:
The proposed project area contains many unclassified streams.Unclassified streams are protected by the general water quality criteria outlined in 10 CSR 20-7.031(3).
The licensee should ensure that all proper Best Management Practices are in place to protect thestream's
- chemical, physical and biological characteristics.
Sensitive Waters: According to the department's current water quality standards, there are nocold water fisheries, losing streams, outstanding state and national resource waters, metropolitan no-discharge
- streams, or biocriteria reference locations within or near the property.
Impaired Waters: This segment of the Missouri River is listed as impaired for bacteria frommultiple point and nonpoint sources according to the 2012 U.S. Environmental Protection Agency's approved 303(d) List. The Missouri River has an approved Total Maximum DailyLoad for Chlordane and Polychlorinated Biphenyl (approved November 3, 2006,http://www.dnr.mo.gov/env/wpp/tmdl/0226-0356-070 1-1 604-missouri-r-tmdl.pdf).
No activities related to the project should increase the amount of pollutants impairing the river nor re-suspend any pollutants that might be bound to sediment.
2 Geospatial Data: Department geospatial data is available upon. request, and all published data isavailable on the Missouri Spatial Data Information Service web site at http:/fmsdis.missouri.edu/.
Land Disturbance Permits:
Future construction work disturbing an area of one acre or more willrequire a Land Disturbance Permit prior to any earth work being initiated.
Valuable resourcewaters may require additional conditions or a site-specific permit. Valuable resource watersinclude losing streams, outstanding resource waters, public drinking water supplies, criticalhabitat for endangered
- species, impairments due to sediment or unknown pollutants, permanent streams or major reservoirs, biocriteria reference locations,
- wetlands, or sinkholes or other directconduits to groundwater.
Applicants with land disturbance permitting questions are encouraged to visit http://www.dnr.mo.gov/env/wpp/epermit/help.htm, or call the department's ePermitting Technical Customer Assistance toll free number at (855) 789-3889.
The licensee may contact thedepartment's Northeast Regional Office at (660) 385-8000 with any additional questions.
Water Quality Citation Clarifications Table 1-1. Pages 1-10: In the event that the U.S. Army Corps of Engineers (USACE) shoulddetermine that a Clean Water Act Section 404 Permit would be required for any future activities on the property; a Clean Water Act Section 401 Water Quality Certification (WQC) would likelybe required.
The department recommends that the licensee consults with the department todetermine if a WQC would be required, whether the project would be pre-certified, or anindividual WQC would be required.
The Section 404 Nationwide Permit 3 for "Maintenance" expires every five years. The currentpermit and associated pre-certified 401 conditions expire on March 18, 2017. The table seems toindicate that this permit never expires, which is incorrect.
The USACE File No. 2004-00468 is for an individual 404 permit, not a Nationwide Permit 3 for"Maintenance" according to our database.
This information should be corrected in the table. Thedepartment issued an individual WQC on May 3, 2004, for that specific individual 404 permit.Page 2-21. Line 3: Intake Well 2 is listed twice in this sentence.
Should one instance be IntakeWell 1 and the other Intake Well 2?Page 2-29, Line 40: The most recent data provided by the U.S. Geological Survey for GagingStation No. 06934500 Missouri River at Hermann,
- Missouri, appears to be more recent than2008. Provisional data exists to present day with verified data typically up through September 30, 2013.Page 2-33, Lines 8-14: According to our records there was no WQC issued for the initiallicensing of the facility.
The Section 402 National Pollutant Discharge Elimination SystemPermit No. MO-0098001 addresses water quality concerns regarding the general operation of thefacility.
The department sent a letter to Ameren on October 17, 2013, discussing this matter.However, a WQC may still be required for specific projects at the facility for Clean Water ActSection 404 Permits.Chamois Power Plant: The department understands that the Chamois Power Plant has closed.There are numerous references to this coal-fired power plant.3
- Geology, Hydrology, Surface Water and Groundwater Resources This section of our review focuses on sections pertaining to geology, hydrology, surface waterand groundwater resources.
In general, several sections used terminology that is inconsistent with current nomenclature used by the Missouri Geological Survey and the U. S. Geological Survey, which may have resulted from referring to previous site-related documents.
For thoseinstances, comments offered here are intended to help update the record. However, in othersections of the SEIS, inappropriate references were used to describe conditions and drawconclusions concerning water resource impacts.
The impacts evaluated in Section 4.12.2.2should be reevaluated, as mentioned in specific comments below. Selected references are listedat the end of the specific comments that follow.Section 2.2.3.1 Physiogarphy and Geology, Figure 2-9. General Geologic Column, page 2-27:This illustration uses some geologic nomenclatufre that is out of date. The figure'should bemodified to reflect the current uniftnames.
The "Graydon Chert Conglomerate" is now known asthe Graydon Conglomerate.
The "Burlington Formation" is properly the Burlington Limestone.
The unit labelled "Bushberg Formation" is not likely the Bushberg Sandstone.
Recent geologicmapping by Starbuck (2008) identifies this sandstone as either the Devonian System HoltsSummfitSandstone or the Mississippian Subsystem, Kinderhookian Series Bachelor Sandstone.
The "Snyder Creek Formation" is properly named the Snyder Creek Shale. The "Callaway Formation" is now the Cedar Valley Limestone and the "Cotter/Jefferson City Formation" isproperly the Cotter and Jefferson City Dolomites (Thompson, 1995).Section 2.2.4 Surface Water Resources, first paraaaph.
page 2-29: The firstsentence of thisparagraph states that "Callaway is located within the Missouri River Basin, Auxvasse Creeksubwatershed, approximately 5 mi (8 kin) northwest of the Missouri River (Figure 2-10)(Ameren 2011 d)." The paragraph goes on to state that a significant portion of surface waterrunoff from the site, perhaps the majority, flows to Mud and Logan creeks, which is not withinthe Auxvasse Creek subwatershed as depicted on Figure 2-10, page 2-30. The first sentence ofthis paragraph and Figure 2.10 should be amended to include the Logan Creek subwatershed.
Section 2.2.4.1 Stormwater Retention Ponds. paae 2-34: The last sentence of this paragraph states that the stormwater "receiving water bodies are an unnamed tributary of Logan Creek(Outfalls 010 and 01 1), an unnamed tributary of Mud Creek (Outfall 012), and Cow Branch(Outfalls 014 and 015)." However, the subsequent Table 2-4 indicates that Outfalls 014 and 015discharge to Mud Creek. Cow Branch is a tributary to Auxvasse Creek, not Mud Creek. Thetable should be corrected so that it is consistent with the text (which is consistent with theMissouri state operating permit).Section 2.2.5 Groundwater Resources, page 2-35 and Figure 2-12, page 2-36: Similar tocomments in regard to Section 2.2.3.1 above, some of the nomenclature used in this section andin Figure 2-12 is not current.
- Further, the bedrock aquifer names, thicknesses and delineations are incorrect and inconsistent with scientific literature.
The authors of the draft SEIS are referredto Miller and Vandike (1997) and Gann et al. (1971) for a discussion of the hydrology in thenortheastern area of Missouri.
In addition, the portion of the aquifer that is described as confinedin Figure 2-12 is unconfined in the area of the Callaway plant; it is partially drained by local4 streams and the Missouri River. In other areas of this groundwater
- province, the aquifer isconfined.
Section 2.2.5 Groundwater Resources, page 2-37, lines 24 and 25: This paragraph discusses blowdown pipeline leakage incidentsthat resulted in releases of tritium to soils and groundwater.
The last sentence of this section states that sampling showed that "All tritium concentrations were well below EPA's drinking water standard of 20,000 picocuries per litre." Sample analysisreports for samples collected at the site in June and July of 2006 indicate that many samplesexceeded that standard, some by more than 10 times the standard.
These samples were collected along the pipeline and at manholes in response to the discovery that pipeline air release valveshad been discharging small amounts of pipeline fluids. The statement in the text of the draftSEIS should be revised.Section 4.5.2.1.
page 4-5. third paragraph and Section 4.5.2.2.
page 4-6. third paragraph:
Theseparagraphs again use an aquifer name that is inconsistent with accepted usage. The aquifertapped by the Callaway plant wells, as well as most of the other local wells, and the aquifer thatdischarges to the Missouri River alluvial
- aquifer, is the Cambrian-Ordovician Aquifer.Section 4.5.2.3 Radionuclides Released to Groundwater.
page 4-6. second paragraph:
As withthe comment above with respect to Section 2.2.5, this paragraph discusses blowdown pipelineleakage incidents that resulted in releases of tritium to soils and groundwater.
The second to thelast sentence of this paragraph states that sampling showed that "All tritium concentrations werewell below EPA's drinking water standard of 20,000 picocuries per litre." Sample analysisreports from June and July of 2006 groundwater sampling indicate that many samples exceededthat standard, some by more than 10 times the standard.
These samples were collected along thepipeline and at manholes in response to the discovery that pipeline air release valves had beendischarging small amounts of pipeline fluids. The statement in the text of the draft SEIS shouldbe revised.Section 4.12.2.2 Cumulative Impacts on Groundwater Resources, page 4-43: The conclusions drawn in this section are not adequately supported by the references cited. Farrar (2009) andUSGS (2013) are not pertinent to the discussion.
Though the geologic formations of the OzarkAquifer of southern Missouri are by and large the same formations that make up the Cambrian-Ordovician Aquifer of northeast
- Missouri, the Missouri River forms a hydrologic boundarywhich separates them (Imes, 1985, and Miller and Vandike, 1997). Czarnecki et al. (2009) iscited as a reference to argue that water use by the Callaway plant will have a "SMALL" impacton water resources of the aquifer.
The Czamecki study examined a very limited area of theOzark Aquifer in the southwest corner of Missouri, nearly 200 miles from the Callaway plant.The first sentence of the third paragraph, while not incorrect, does not support the conclusion made in the final sentence of the paragraph and section.
The author is referred to Gann et al.(1971) and Miller and Vandike (1997) for a description of the groundwater aquifers ofnortheastern Missouri and to Imes (1985) as a basis to evaluate the potential impact to the waterresources of the area of interest.
5 Section 4.12.8 Summary of Cumulative
- Impacts, Table 4-10. page 4-51: The text related to waterresources in this table may have to be revised pending reevaluation of cumulative impacts togroundwater resources, as discussed in the previous comment.Selected References Gann, E. E., Harvey, E. J., Jefferey, H. G., and Fuller, D. L., 1971,. Water resources ofnortheastern
- Missouri, Hydrologic Investigations Atlas HA-372, U. S. Geological Survey, 4 plateslines, Jefftey L., 1985, The ground-water flow system in northern Missouri with emphasis on theCambrian-Ordovician Aquifer.
U.S. Geological Survey Professional Paper 1305, 61 p.,29 figs., 3 tbls.Miller, Don E. and Vandike, James E., 1997, Missouri State Water Plan Series, Volume IH,Groundwater Resources of Missouri.
Missouri Department of Natural Resources' Division-of Geology and Land Survey, Water Resources Report Number 46, 210 p., 77figs., 17 tbls.Starbuck, Edith A., 2008, Bedrock geologic map of the Mokane 7.5' Quadrangle, Callaway andOsage Counties,
- Missouri, Open File Map OFM-08-539-GS, Missouri Department ofNatural Resources' Division of Geology and Land Survey, 1 mapStarbuck, Edith A., 2008, Bedrock geologic map of the Reform 7.5' Quadrangle, CallawayCounty; Missouri, Open File Map OFM-08-537-GS, Missouri Department of NaturalResources' Division of Geology and Land Survey, 1 mapThompson, Thomas L., 1995, The stratigraphic succession in Missouri (revised),
MissouriDivision of Geology and Land Survey, Volume 40-Revised, 2nd Series',
189 pp., 42 figs.,1 tbl.Air Quality Comments and Corrections This section of our review focuses on air quality concerns.
The department offers severalcorrections and suggests substitutions that clarify and correct some of the information providedin the document.
Page 2-23: Lines 35-43 reference an air permit number "06210-003."
This needs to be corrected to "062010-003."
Page 4-41: Line 10 currently reads: "Existing emission sources at Callaway are regulated underOperating Permit No. OP2008-045.
This operating permit expires on September 17, 2013.The department suggests the following edit: "Existing emission sources at Callaway areregulated under Operating Permit No. OP2008-045.
This operating permit expired on September 17, 2013. A renewal application was submitted to the department on February 22, 2013 and is6 under review. The facility will operate under the previous permit until the department issues anew operating permit."Page 4-41: Within a 50-mi (80-kin) radius of Callaway, land use is primarily rural. A few minoremission sources are widely distributed in the area; the closest existing major emission source isthe Chamois Power Plant, located approximately 6 mi (10 1In) south of Callaway.
In 2008,Chamois emitted 2,409 tons of nitrogen oxide and 5,038 tons of sulfur dioxide and is thedominant emission source in the region.The department suggests the following addition:
"However, Chamois' most recent emissionreporting, in 2012, indicated they emitted 1,490 tons of nitrogen dioxide and 999 tons of sulfurdioxide due to the shutting down of the facility.
Although a permanent shut down date isunknown, it is expected this plant will not operate past 2015."Page 8-6: The document refers to the Central Regional Air Planning Association (CENRAP) inrelation to regional haze and visibility issues.Comment:
The group mentioned above, CENRAP, no longer exists. The department suggests thefollowing edit: "The State of Missouri, at the time of the initial regional haze rule was amongnine states (Nebraska, Kansas, Oklahoma, Texas, Minnesota, Iowa, Missouri,
- Arkansas, andLouisiana) that were members of the Central Regional Air Planning Association (CENRAP).
CENRAP, along with tribes, Federal agencies, and other interested parties worked together toidentify regional haze and visibility issues and develop strategies to address them. As the fundingfor this group no longer exists, the individual states work with each other and the federal landmanagers as necessary on continuing issues and updates to regional haze requirements."
We appreciate the opportunity to provide comments for the Generic Environmental ImpactStatement for License Renewal of Nuclear Plants, Supplement 51, Regarding Callaway Plant,Unit 1, Draft Report for Comment, NUREG-1437.
If you have any questions or needclarification, please contact me, phone number (573) 751-3195.
The address for correspondence is Department of Natural Resources, P.O. Box 176, Jefferson City, MO 65102.Thank you.Sincerely, DEPARTMENT OF NATURAL RESOURCES Robert StoutChief of Policy/jb7