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Category:Rulemaking-Comment
MONTHYEARML22215A2362022-07-28028 July 2022 Comment (037) from Peter Gebhardt on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning ML22215A0672022-07-26026 July 2022 Comment (032) from Jean Rivlin on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning ML22215A0652022-07-26026 July 2022 Comment (030) from Evie Horton on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning ML22215A0632022-07-26026 July 2022 Comment (028) from Emilia Silva on PR-20, 26, 50, 51, 52, 72, 73 and 140 - Regulatory Improvements for Production and Utilization Facilities Transitioning to Decommissioning ML21076A5332021-03-16016 March 2021 4 Form Comments from Citizens Opposing the Indian Point License Transfer Application (NRC-2020-0021) - (Version 2) ML21076A5302021-02-25025 February 2021 1 Form Comment from Citizen Opposing the Indian Point License Transfer Application (NRC-2020-0021) ML21076A5322021-02-23023 February 2021 Comment from Sandy Lehrenbaum Re Indian Point Consideration of Approval of Transfer of Licenses & Conforming Amendments on Indian Point ML21076A5312021-02-23023 February 2021 Comment from Barbara and Edward O'Brien Re Indian Point Consideration of Approval of Transfer of Licenses & Conforming Amendments ML21076A5292021-01-29029 January 2021 4 Form Comments from Riverkeeper Constituents to Commissioner Hanson Regarding the Indian Point License Transfer Application (NRC-2020-0021)- Subject: Fully Adjudicate All Pending Petitions NRC-2011-0189, Comment (20) of Michel Lee on Behalf of the Indian Point Safe Energy Coalition on the Proposed Rule for 10 CFR Parts 50 and 52 - Mitigation of Beyond-Design-Basis Events2016-02-11011 February 2016 Comment (20) of Michel Lee on Behalf of the Indian Point Safe Energy Coalition on the Proposed Rule for 10 CFR Parts 50 and 52 - Mitigation of Beyond-Design-Basis Events ML14017A1212014-01-16016 January 2014 Comment (00924) of Riverside Church on Behalf of 132 Individuals on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML14006A3862013-12-20020 December 2013 Comment (00838) of Sally Jane Gellert on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML14002A0132013-12-19019 December 2013 Comment (00809) of Pam Krimsky on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13351A0032013-12-0707 December 2013 Comment (00394) of Mrs. Mary Ellen Kerr on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13336B4632013-11-29029 November 2013 Comment (00302) of Dale Saltzman on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13336A7232013-11-21021 November 2013 Comment (00279) of Grant Collier on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13336A5722013-11-21021 November 2013 Comment (00277) of Emily O'Mahony on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13320A0092013-11-15015 November 2013 Comment (00184) of Robert Tompkins on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13350A6512013-11-0606 November 2013 Comment (00378) of Jocelyn Decrecsenzo on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML13308D0852013-11-0303 November 2013 Comment (00127) of Gary Shaw on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel NRC-2012-0246, Comment (00938) of the Raging Grannies on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel2013-10-30030 October 2013 Comment (00938) of the Raging Grannies on PR-51, Waste Confidence - Continued Storage of Spent Nuclear Fuel ML12300A4692012-10-0202 October 2012 Comment (290) of Barbara Lenniger, Et. Al. on Behalf of Women'S Committee of Blawelt and Sparhill Dominions on PRM-50-104, Emergency Planning Zone Re Indian Point ML12278A0542012-09-24024 September 2012 Comment (288) of Catherine Howard and Other Three Individuals on Petition for Rulemaking PRM-50-104 Regarding Emergency Planning Zone ML12283A2602012-09-24024 September 2012 Comment (289) of Diane Forrest, Cecelia Lavan Et. Al. of Blauvelt Dominican Social Justice Committee on PRM 50-104 Regarding Resolution for Public Health and Safety Regarding Indian Point Nuclear Plants on Emergency Planning Zone ML12256B0272012-08-23023 August 2012 Comment (287) of Marie Gertrude Haughney and Three Other Individuals on Petition for Rulemaking PRM-50-104 Emergency Planning Zone ML12200A2972012-07-16016 July 2012 Comment (206) of Linda Griggs on PRM-50-104 Regarding Emergency Planning Zone ML12145A7172012-05-16016 May 2012 Comment (32) of Robert Cerello on PRM-50-104 Regarding Emergency Planning Zone ML1125211062011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 ESBWR Design Certification Amendment ML1125210392011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment NRC-2010-0135, Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment2011-09-0909 September 2011 Commission Memorandum and Order (CLI-11-05) Regarding Pr 52 AP1000 Design Certification Amendment ML11209C4892011-07-21021 July 2011 Comment (8) of Mark Leyse on Petition for Rulemaking PRM-50-95 Requesting the NRC to Order Vermont Yankee to Lower the Licensing Basis Peak Cladding Temperature in Order to Provide a Necessary Margin of Safety in the Event of LOCA ML11209C4902011-07-21021 July 2011 Comment (21) of Mark Leyse, on Petition for Rulemaking PRM-50-93, Regarding NRC Revise Its Regulations Based on Data from multi-rod (Assembly) Severe Fuel Damage Experiments ML11175A3542011-06-21021 June 2011 2011/06/21-Comment (32) of Edwin Bergmann in Support of Petition for Rulemaking PRM-50-96, Regarding NRC Amends Its Regulations Regarding the Domestic Licensing of Special Material ML0929309822009-10-19019 October 2009 2009/10/19-Comment (26) of Mary Lampert, Et. Al., on Behalf of Pilgrim Watch on Rules PR-50 and 50, Enhancements to Emergency Preparedness Regulations. ML0914806402009-05-28028 May 2009 Supplemental Comments of Janice A. Dean on Behalf of the Office of the Attorney General of the State of New York on Pr 20, 30, 40, 50, 70 and 72 Regarding Decommissioning Planning ML0904804002009-02-0202 February 2009 Comment (88) of Sally Shaw on Pr 51 Consideration of Environmental Impacts of Temporary Storage of Spent Fuel After Cessation of Reactor Operation, and Pr 51 Waste Confidence Decision Update ML0731002932007-10-31031 October 2007 Comment (2) of John Sweeney on Pr 52 Regarding Consideration of Aircraft Impacts for New Nuclear Power Reactor Designs ML0705104132007-02-16016 February 2007 Letter from Riverkeeper, Inc., Lisa Rainwater, Et. Al. on Proposed Rule Pr 50, 72 and 73 Re Requesting an Additional 60 Day Extension of the Comment Period ML0601905822006-01-19019 January 2006 Comment (27) Submitted by Jeff Wanshel on Proposed Rule PR-73 Regarding Design Basis Threat ML0524205852005-08-29029 August 2005 Comment (10) Submitted by Entergy Nuclear Operations, Inc., Travis C. Mccullough Opposing Andrew Spano'S Petition for Rulemaking PRM-54-02, Amendment to 10 CFR Part 54, Requirements for Renewal of Operating Licenses for Nuclear Power Plants ML0525602672005-08-23023 August 2005 Comment (21) Submitted by Jeffrey Wanshel Supporting Andy Spano'S Petition for Rulemaking PRM 54-02, Amendment to 10 CFR Part 54, Requirements for Renewal of Operating Licenses for Nuclear Power Plants ML0525604292005-08-22022 August 2005 Comment (20) Submitted by Gary Shaw Supporting Andy Spano'S Petition for Rulemaking PRM-54-02, Amendment to 10 CFR Part 54, Requirements for Renewal of Operating Licenses for Nuclear Power Plants ML0503102412005-01-24024 January 2005 Comment (200) Submitted by Felix Aguilar, Robert Gould and Jonathan Parfrey, on Behalf of the California Chapters of Physicians for Social Responsibility, Supporting Petition for Rulemaking PRM-73-12, Upgrade the Design Basis Threat Regulat ML0503102292005-01-24024 January 2005 Comment (199) Submitted by Robert K. Musil, on Behalf of the Physicians for Social Responsibility, on Petition for Rulemaking PRM-73-12, Upgrade the Design Basis Threat Regulations ML0504004342005-01-21021 January 2005 Comment (249) Submitted by Michael and Judy Hardy Supporting Petition for Rulemaking PRM-73-12, Upgrade the Design Basis Threat Regulations ML0504003832005-01-20020 January 2005 Comment (240) Submitted by Cindy L. Nance Supporting Petition for Rulemaking PRM-73-12, Upgrade the Design Basis Threat Regulations ML0502501652005-01-19019 January 2005 Comment (68) Submitted by Sallie and Otto Hunt Supporting Petition for Rulemaking PRM 73-12, Upgrade the Design Basis Threat Regulations ML0502501672005-01-19019 January 2005 Comment (69) Submitted by Allan Gill on Petition for Rulemaking PRM 73-12, Upgrade the Design Basis Threat Regulations ML0502503062005-01-19019 January 2005 Comment (86) Submitted by Dot Sulock on Petition for Rulemaking PRM 73-12, Upgrade the Design Basis Threat Regulations ML0327514662003-09-22022 September 2003 Comment (3) of Michael J. Colomb Re Proposed Generic Communication; Method for Estimating Effective Dose Equivalent from External Radiation Sources Using Two Dosimeters 2022-07-28
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1 Rulemaking1CEm Resource From: RulemakingComments Resource Sent: Monday, December 16, 2013 3:06 PM To: Rulemaking1CEm Resource
Subject:
FW: Docket ID NRC-2012-0246 DOCKETED BY USNRC-OFFICE OF THE SECRETARY SECY-067 PR#: PR-51 FRN#: 78FR56775 NRC DOCKET#: NRC-2012-0246 SECY DOCKET DATE: 11/6/13 TITLE: Waste Confidence-Continued Storage of Spent Nuclear Fuel COMMENT#: 00378
Original Message-----
From: Riverkeeper [mailto:info@Riverkeeper.org
] On Behalf Of Jocelyn Decrecsenzo Sent: Wednesday, November 06, 2013 10:27 PM To: RulemakingComments Resource
Subject:
Docket ID NRC-2012-0246
Nov 6, 2013
Secretary U.S. Nuclear Regulatory Commission Rulemakings and Adjudications Staff Washington, DC 20555-
0001 ATTN: Secretary Rulemakings and Adjudications Staff,
I am writing today to urge the New York State Department of State to object to Entergy's unfounded certification that a proposed 20 year license extension for its Indian Point nuclear power plant is consistent with NYS's Coastal Management Program and enforceable NYS coastal zone policies.
Indian Point is an outdated, unsafe, and environmentally destructive nuclear plant, which inflicts severe and unnecessary impacts to the ecologically significant coastal resources of NYS. If Indian Point operates for an additional 20 years, it will continue to devastate, as well as pose an incredible risk to, NYS coastal areas.
I encourage you to carefully consider the numerous ways in which the continued operation of Indian Point would be inconsistent with various of NYS's coastal policies, including, but not limited to, the following:
-- Policy 7: The protection, preservation, and restoration of significant coastal fish and wildlife habitats: Indian Point's antiquated cooling water intake structure, located in the vicinity of the designated significant fish and wildlife habitat of Haverstraw Bay, slaughters millions of aquatic organisms in Hudson River every year. Decades of such devastation has contributed to the decline of 10 out of 13 key species in the river. If Entergy were to continue running the plant the way they want to, it would result in ongoing impacts, and clearly not in the protection, preservation, and restoration of significant coastal fish and wildlife habitats.
2-- Policy 8: The protection of fish and wildlife resources from hazardous wastes and pollution: 1,500+ tons of "spent" nuclear waste from Indian Point currently sit on the banks of the Hudson River. Should Indian Point continue to operate, the plant will generate approximately 1,000 additional tons of waste to also be stored at the site. This waste, which is largely in tightly packed, degraded, leaking, and highly radioactive waste storage pools, poses an exceptional risk of accident and attendant large scale release of radiation to the surrounding coastal area, and demonstrably not in the protection of NYS coastal resources from hazardous pollutants.
-- Polices 9 & 19: Protection and expansion of recreational uses of and access to coastal resources: Historic and rampant radiological leaks from spent fuel pools, buried pipes, and other structures at Indian Point since the 1990s have resulted in extensive plumes of contamination underlying the site. These plumes include highly toxic radionuclides that are known to bioaccumulate in aquatic organisms and interfere with human health. Entergy's solution? Let the plumes leach into the Hudson River. This has been happening for years and will continue for decades, especially as the plant continues aging, breaking down, and leaking additional radioactivity to the environment. Entergy's complacency completely fails to assure the protection of NYS coastal resources for recreational activities, such as fishing and swimming.
The proposed continued operation of Indian Point violates letter and intent of these, as well as other, NYS coastal policies. I, thus, urge you to ensure that Indian Point is disallowed to continue operating at the expense of NYS coastal resources by strongly objecting to Entergy's entirely unjustified coastal consistency certification.
Thank you for your consideration.
Respectfully, Ms. Jocelyn Decrecsenzo 116 Sierra Vista Ln
Valley Cottage, NY 10989-2702
Hearing Identifier: Secy_RuleMaking_comments_Public Email Number: 399 Mail Envelope Properties (377CB97DD54F0F4FAAC7E9FD88BCA6D0014433AE3D28)
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FW: Docket ID NRC-2012-0246 Sent Date: 12/16/2013 3:05:59 PM Received Date: 12/16/2013 3:06:00 PM From: RulemakingComments Resource Created By: RulemakingComments.Resource@nrc.gov Recipients: "Rulemaking1CEm Resource" <Rulemaking1CEm.Resource@nrc.gov> Tracking Status: None
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