80_FR_33671 80 FR 33558 - Southern California Edison Company; San Onofre Nuclear Generating Station, Units 1, 2, and 3, and Independent Spent Fuel Storage Installation

80 FR 33558 - Southern California Edison Company; San Onofre Nuclear Generating Station, Units 1, 2, and 3, and Independent Spent Fuel Storage Installation

NUCLEAR REGULATORY COMMISSION

Federal Register Volume 80, Issue 113 (June 12, 2015)

Page Range33558-33569
FR Document2015-14423

The U.S. Nuclear Regulatory Commission (NRC) is granting exemptions in response to a request from Southern California Edison Company (SCE or the licensee) regarding certain emergency planning (EP) requirements. The exemptions will eliminate the requirements to maintain formal offsite radiological emergency plans and reduce the scope of the onsite EP activities at the San Onofre Nuclear Generating Station (SONGS), Units 1, 2, and 3, and the Independent Spent Fuel Storage Installation (ISFSI), based on the reduced risks of accidents that could result in an offsite radiological release at the decommissioning nuclear power reactors. Provisions would still exist for offsite agencies to take protective actions, using a comprehensive emergency management plan to protect public health and safety, if protective actions were needed in the event of a very unlikely accident that could challenge the safe storage of spent fuel.

Federal Register, Volume 80 Issue 113 (Friday, June 12, 2015)
[Federal Register Volume 80, Number 113 (Friday, June 12, 2015)]
[Notices]
[Pages 33558-33569]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-14423]


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NUCLEAR REGULATORY COMMISSION

[Docket Nos. 50-206, 50-361, 50-362, and 72-41; NRC-2015-0093]


Southern California Edison Company; San Onofre Nuclear Generating 
Station, Units 1, 2, and 3, and Independent Spent Fuel Storage 
Installation

AGENCY: Nuclear Regulatory Commission.

ACTION: Exemption; issuance.

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SUMMARY: The U.S. Nuclear Regulatory Commission (NRC) is granting 
exemptions in response to a request from Southern California Edison 
Company (SCE or the licensee) regarding certain emergency planning (EP) 
requirements. The exemptions will eliminate the requirements to 
maintain formal offsite radiological emergency plans and reduce the 
scope of the onsite EP activities at the San Onofre Nuclear Generating 
Station (SONGS), Units 1, 2, and 3, and the Independent Spent Fuel 
Storage Installation (ISFSI), based on the reduced risks of accidents 
that could result in an offsite radiological release at the 
decommissioning nuclear power reactors. Provisions would still exist 
for offsite agencies to take protective actions, using a comprehensive 
emergency management plan to protect public health and safety, if 
protective actions were needed in the event of a very unlikely accident 
that could challenge the safe storage of spent fuel.

ADDRESSES: Please refer to Docket ID NRC-2015-0093 when contacting the 
NRC about the availability of information regarding this document. You 
may obtain publicly-available information related to this document 
using any of the following methods:
     Federal Rulemaking Web site: Go to http://www.regulations.gov and search for Docket ID NRC-2015-0093. Address

[[Page 33559]]

questions about NRC dockets to Carol Gallagher; telephone: 301-415-
3463; email: [email protected]. For technical questions, contact 
the individual listed in the FOR FURTHER INFORMATION CONTACT section of 
this document.
     NRC's Agencywide Documents Access and Management System 
(ADAMS): You may obtain publicly available documents online in the 
ADAMS Public Documents collection at http://www.nrc.gov/reading-rm/adams.html. To begin the search, select ``ADAMS Public Documents'' and 
then select ``Begin Web-based ADAMS Search.'' For problems with ADAMS, 
please contact the NRC's Public Document Room (PDR) reference staff at 
1-800-397-4209, 301-415-4737, or by email to [email protected]. The 
ADAMS accession number for each document referenced (if that document 
is available in ADAMS) is provided the first time that a document is 
referenced.
     NRC's PDR: You may examine and purchase copies of public 
documents at the NRC's PDR, Room O1-F21, One White Flint North, 11555 
Rockville Pike, Rockville, Maryland 20852.

FOR FURTHER INFORMATION CONTACT: Thomas Wengert, Office of Nuclear 
Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, DC 
20555-0001; telephone: 301-415-4037; email: [email protected].

SUPPLEMENTARY INFORMATION:

I. Background

    The SONGS Units 1, 2, and 3, are decommissioning power reactors 
located in San Diego County, California. The licensee, SCE, is the 
holder of SONGS Facility Operating License Nos. DPR-13, NPF-10, and 
NPF-15. The licenses provide, among other things, that the facility is 
subject to all rules, regulations, and orders of the NRC now or 
hereafter in effect.
    SONGS Unit 1 was permanently shut down in 1993. On June 12, 2013 
(ADAMS Accession No. ML131640201), the licensee provided the 
certifications that SONGS Units 2 and 3, had permanently ceased power 
operations. On June 28 (ADAMS Accession No. ML13183A391), and July 22, 
2013 (ADAMS Accession No. ML13204A304), the licensee provided 
certifications that all fuel had been permanently removed from the 
SONGS Units 3 and 2, reactors, respectively. As a permanently shutdown 
and defueled facility, and pursuant to section 50.82(a)(2) of Title 10 
of the Code of Federal Regulations (10 CFR), SCE is no longer 
authorized to operate the reactors or emplace fuel into the reactor 
vessels, but is still authorized to possess and store irradiated 
nuclear fuel. Irradiated fuel is currently stored onsite at SONGS in 
spent fuel pools (SFPs) and in the ISFSI dry casks.
    During normal power reactor operations, the forced flow of water 
through the reactor coolant system (RCS) removes heat generated by the 
reactor. The RCS, operating at high temperatures and pressures, 
transfers this heat through the steam generator tubes converting non-
radioactive feedwater to steam, which then flows to the main turbine 
generator to produce electricity. Many of the accident scenarios 
postulated in the updated safety analysis reports (USARs) for operating 
power reactors involve failures or malfunctions of systems that could 
affect the fuel in the reactor core, which in the most severe 
postulated accidents, would involve the release of some fission 
products into the environment. With the permanent cessation of reactor 
operations at SONGS and the permanent removal of the fuel from the 
reactor vessels, such accidents are no longer possible. The reactors, 
RCS, and supporting systems are no longer in operation and have no 
function related to the storage of the irradiated fuel. Therefore, 
postulated accidents involving failure or malfunction of the reactors, 
RCS, or supporting systems are no longer applicable.
    The EP requirements of 10 CFR 50.47, ``Emergency plans,'' and 
appendix E to 10 CFR part 50, ``Emergency Planning and Preparedness for 
Production and Utilization Facilities,'' continue to apply to nuclear 
power reactors that have permanently ceased operation and have removed 
all fuel from the reactor vessel. There are no explicit regulatory 
provisions distinguishing EP requirements for a power reactor that is 
permanently shut down and defueled from those for a reactor that is 
authorized to operate. To reduce or eliminate EP requirements that are 
no longer necessary due to the decommissioning status of the facility, 
SCE must obtain exemptions from those EP regulations. Only then can SCE 
modify the SONGS emergency plan to reflect the reduced risk associated 
with the permanently shutdown and defueled condition of SONGS .

II. Request/Action

    By letter dated March 31, 2014 (ADAMS Accession No. ML14092A332), 
``Emergency Planning Exemption Request,'' SCE requested exemptions from 
certain EP requirements of 10 CFR part 50 for SONGS. More specifically, 
SCE requested exemptions from certain planning standards in 10 CFR 
50.47(b) regarding onsite and offsite radiological emergency plans for 
nuclear power reactors; from certain requirements in 10 CFR 50.47(c)(2) 
that require establishment of plume exposure and ingestion pathway 
emergency planning zones for nuclear power reactors; and from certain 
requirements in 10 CFR part 50, appendix E, Section IV, which 
establishes the elements that make up the content of emergency plans. 
In letters dated September 9, October 2, October 7, October 27, 
November 3, and December 15, 2014 (ADAMS Accession Nos. ML14258A003, 
ML14280A265, ML14287A228, ML14303A257, ML14309A195, and ML14351A078, 
respectively), SCE provided responses to the NRC staff's requests for 
additional information (RAI) concerning the proposed exemptions. In 
addition, SCE submitted a letter dated October 6, 2014, which contains 
security-related information, and is therefore withheld from public 
disclosure. The December 15, 2014, letter is a redacted, publicly-
available version of this letter.
    The information provided by SCE included justifications for each 
exemption requested. The exemptions requested by SCE would eliminate 
the requirements to maintain formal offsite radiological emergency 
plans, reviewed by the Federal Emergency Management Agency (FEMA) under 
the requirements of 44 CFR part 350, and reduce the scope of onsite EP 
activities. The SCE stated that application of all of the standards and 
requirements in 10 CFR 50.47(b), 10 CFR 50.47(c), and 10 CFR part 50, 
appendix E is not needed for adequate emergency response capability, 
based on the substantially lower onsite and offsite radiological 
consequences of accidents still possible at the permanently shutdown 
and defueled facility as compared to an operating facility. If offsite 
protective actions were needed for a very unlikely accident that could 
challenge the safe storage of spent fuel at SONGS, provisions exist for 
offsite agencies to take protective actions using a comprehensive 
emergency management plan (CEMP) under the National Preparedness System 
to protect the health and safety of the public. A CEMP in this context, 
also referred to as an emergency operations plan (EOP), is addressed in 
FEMA's Comprehensive Preparedness Guide 101, ``Developing and 
Maintaining Emergency Operations Plans.'' Comprehensive Preparedness 
Guide 101 is the foundation for State, territorial, Tribal, and local 
EP in the United States. It promotes a common understanding of the 
fundamentals of

[[Page 33560]]

risk-informed planning and decision-making and helps planners at all 
levels of government in their efforts to develop and maintain viable, 
all-hazards, all-threats emergency plans. An EOP is flexible enough for 
use in all emergencies. It describes how people and property will be 
protected; details who is responsible for carrying out specific 
actions; identifies the personnel, equipment, facilities, supplies and 
other resources available; and outlines how all actions will be 
coordinated. A CEMP is often referred to as a synonym for ``all-hazards 
planning.''

III. Discussion

    In accordance with 10 CFR 50.12, ``Specific exemptions,'' the 
Commission may, upon application by any interested person or upon its 
own initiative, grant exemptions from the requirements of 10 CFR part 
50 when: (1) The exemptions are authorized by law, will not present an 
undue risk to public health or safety, and are consistent with the 
common defense and security; and (2) any of the special circumstances 
listed in 10 CFR 50.12(a)(2) are present. These special circumstances 
include, among other things, that the application of the regulation in 
the particular circumstances would not serve the underlying purpose of 
the rule or is not necessary to achieve the underlying purpose of the 
rule.
    As noted previously, the current EP regulations contained in 10 CFR 
50.47(b) and appendix E to 10 CFR part 50 apply to both operating and 
shutdown power reactors. The NRC has consistently acknowledged that the 
risk of an offsite radiological release at a power reactor that has 
permanently ceased operations and removed fuel from the reactor vessel 
is significantly lower, and the types of possible accidents are 
significantly fewer, than at an operating power reactor. However, 
current EP regulations do not recognize that once a power reactor 
permanently ceases operation, the risk of a large radiological release 
from a credible emergency accident scenario is reduced. The reduced 
risk is largely the result of the low frequency of credible events that 
could challenge the SFP structure, and the reduced decay heat and 
reduced short-lived radionuclide inventory due to decay. The NRC's 
NUREG/CR-6451, ``A Safety and Regulatory Assessment of Generic BWR and 
PWR Permanently Shutdown Nuclear Power Plants,'' dated August 31, 1997 
(ADAMS Accession No. ML082260098) and NUREG-1738, ``Technical Study of 
Spent Fuel Pool Accident Risk at Decommissioning Nuclear Power 
Plants,'' dated February 28, 2001 (ADAMS Accession No. ML010430066), 
confirmed that for permanently shutdown and defueled power reactors 
bounded by the assumptions and conditions in the reports, the risk of 
offsite radiological release is significantly less than that for an 
operating power reactor.
    In the past, EP exemptions similar to those requested by SCE, have 
been granted to licensees of permanently shutdown and defueled power 
reactors. However, the exemptions did not relieve the licensees of all 
EP requirements. Rather, the exemptions allowed the licensees to modify 
their emergency plans commensurate with the credible site-specific 
risks that were consistent with a permanently shutdown and defueled 
status. Specifically, for previous permanently shutdown and defueled 
power reactors, the basis for the NRC staff's approval of the 
exemptions from certain EP requirements was based on the licensee's 
demonstration that: (1) The radiological consequences of design-basis 
accidents would not exceed the limits of the U.S. Environmental 
Protection Agency's (EPA) Protective Action Guidelines (PAGs) at the 
exclusion area boundary, and (2) in the unlikely event of a beyond-
design-basis accident resulting in a loss of all modes of heat transfer 
from the fuel stored in the SFP, there is sufficient time to initiate 
appropriate mitigating actions, and if needed, for offsite authorities 
to implement offsite protective actions using a CEMP approach to 
protect the health and safety of the public. Based on precedent 
exemptions, the site-specific analysis should show that there is 
sufficient time following a loss of SFP coolant inventory until the 
onset of fuel damage to implement onsite mitigation of the loss of SFP 
coolant inventory and if necessary, to implement offsite protective 
actions. To meet this criterion, the staff accepted in precedent 
exemptions that the time should exceed 10 hours from the loss of 
coolant until the fuel temperature reaches 900 degrees Celsius 
([deg]C), assuming no air cooling.
    The NRC staff reviewed the licensee's justification for the 
requested exemptions against the criteria in 10 CFR 50.12(a) and 
determined, as described below, that the criteria in 10 CFR 50.12(a) 
are met, and that the exemptions should be granted. An assessment of 
the SCE EP exemptions is described in SECY-14-0144, ``Request by 
Southern California Edison for Exemptions from Certain Emergency 
Planning,'' dated December 17, 2014 (ADAMS Accession No. ML14251A554). 
The Commission approved the NRC staff's recommendation to grant the 
exemptions in the staff requirements memorandum to SECY-14-0144, dated 
March 2, 2015 (ADAMS Accession No. ML15061A521). Descriptions of the 
specific exemptions requested by SCE and the NRC staff's basis for 
granting each exemption are provided in SECY-14-0144 and summarized in 
a table at the end of this document. The staff's detailed review and 
technical basis for the approval of the specific EP exemptions, 
requested by SCE, are provided in the NRC staff's safety evaluation 
dated June 4, 2015 (ADAMS Accession No. ML15082A204).

A. Authorized by Law

    The licensee has proposed exemptions from certain EP requirements 
in 10 CFR 50.47(b), 10 CFR 50.47(c)(2), and 10 CFR part 50, appendix E, 
Section IV, which would allow SCE to revise the SONGS Emergency Plan to 
reflect the permanently shutdown and defueled condition of the station. 
As stated above, in accordance with 10 CFR 50.12, the Commission may, 
upon application by any interested person or upon its own initiative, 
grant exemptions from the requirements of 10 CFR part 50. The NRC staff 
has determined that granting of the licensee's proposed exemptions will 
not result in a violation of the Atomic Energy Act of 1954, as amended, 
or the NRC's regulations. Therefore, the exemptions are authorized by 
law.

B. No Undue Risk to Public Health and Safety

    As stated previously, SCE provided analyses that show the 
radiological consequences of design-basis accidents will not exceed the 
limits of the EPA PAGs at the exclusion area boundary. Therefore, 
formal offsite radiological emergency plans required under 10 CFR part 
50 are no longer needed for protection of the public beyond the 
exclusion area boundary, based on the radiological consequences of 
design-basis accidents still possible at SONGS.
    Although very unlikely, there is one postulated beyond-design-basis 
accident that might result in significant offsite radiological 
releases. However, NUREG-1738 confirms that the risk of beyond-design-
basis accidents is greatly reduced at permanently shutdown and defueled 
reactors. The NRC staff's analyses in NUREG-1738 concludes that the 
event sequences important to risk at permanently shutdown and defueled 
power reactors are limited to large earthquakes and cask drop events. 
For EP assessments, this is an important difference relative to 
operating power reactors, where typically a large number

[[Page 33561]]

of different sequences make significant contributions to risk. Per 
NUREG-1738, relaxation of offsite EP requirements, under 10 CFR part 
50, a few months after shutdown resulted in only a small change in 
risk. The report further concludes that the change in risk due to 
relaxation of offsite EP requirements is small because the overall risk 
is low, and because even under current EP requirements for operating 
power reactors, EP was judged to have marginal impact on evacuation 
effectiveness in the severe earthquakes that dominate SFP risk. All 
other sequences including cask drops (for which offsite radiological 
emergency plans are expected to be more effective) are too low in 
likelihood to have a significant impact on risk.
    Therefore, granting exemptions to eliminate the requirements of 10 
CFR part 50 to maintain offsite radiological emergency plans and to 
reduce the scope of onsite EP activities will not present an undue risk 
to the public health and safety.

C. Consistent With the Common Defense and Security

    The requested exemptions by SCE only involve EP requirements under 
10 CFR part 50 and will allow SCE to revise the SONGS Emergency Plan to 
reflect the permanently shutdown and defueled condition of the 
facility. Physical security measures at SONGS are not affected by the 
requested EP exemptions. The discontinuation of formal offsite 
radiological emergency plans and the reduction in scope of the onsite 
EP activities at SONGS will not adversely affect SCE's ability to 
physically secure the site or protect special nuclear material. 
Therefore, the proposed exemptions are consistent with the common 
defense and security.

D. Special Circumstances

    Special circumstances, in accordance with 10 CFR 50.12(a)(2)(ii), 
are present whenever application of the regulation in the particular 
circumstances is not necessary to achieve the underlying purpose of the 
rule. The underlying purposes of 10 CFR 50.47(b), 10 CFR 50.47(c)(2), 
and 10 CFR part 50, appendix E, Section IV, are to provide reasonable 
assurance that adequate protective measures can and will be taken in 
the event of a radiological emergency, to establish plume exposure and 
ingestion pathway emergency planning zones for nuclear power plants, 
and to ensure that licensees maintain effective offsite and onsite 
radiological emergency plans. The standards and requirements in these 
regulations were developed by considering the risks associated with 
operation of a power reactor at its licensed full-power level. These 
risks include the potential for a reactor accident with offsite 
radiological dose consequences.
    As discussed previously in Section III of this document, because 
SONGS Units 1, 2, and 3 are permanently shutdown and defueled, there is 
no longer a risk of offsite radiological release from a design-basis 
accident and the risk of a significant offsite radiological release 
from a beyond-design-basis accident is greatly reduced when compared to 
the risk at an operating power reactor. In a letter dated March 31, 
2014 (ADAMS Accession No. ML14092A332), the licensee provided analyses 
to demonstrate that the radiological consequences of design-basis 
accidents at SONGS will not exceed the limits of the EPA PAGs at the 
exclusion area boundary. The NRC staff has confirmed the reduced risks 
at SONGS by comparing the generic risk assumptions in the analyses in 
NUREG-1738 to site-specific conditions at SONGS; and has determined 
that the risk values in NUREG-1738 bound the risks presented by SONGS. 
In addition, the significant decay of short-lived radionuclides that 
has occurred since the January 2012 shutdown provides assurance in 
other ways. As indicated by the results of research conducted for 
NUREG-1738 and more recently, for NUREG-2161, ``Consequence Study of a 
Beyond-Design-Basis Earthquake Affecting the Spent Fuel Pool for a U.S. 
Mark I Boiling Water Reactor'' (ADAMS Accession No. ML15255A365), while 
other consequences can be extensive, accidents from SFPs with 
significant decay time have little potential to cause offsite early 
fatalities, even if the formal offsite radiological EP requirements 
were relaxed. The SCE's analysis of a beyond-design-basis accident 
involving a complete loss of SFP water inventory, where adequate fuel 
handling building air exchange with the environment and air cooling of 
the stored fuel is available, shows that by August 31, 2014, air 
cooling of the spent fuel assemblies was sufficient to keep the fuel 
within a safe temperature range, indefinitely, without fuel cladding 
damage or offsite radiological release.
    The only analyzed beyond-design-basis accident scenario that 
progresses to a condition where a significant offsite release might 
occur, involves the very unlikely event where the SFP drains in such a 
way that all modes of cooling or heat transfer are assumed to be 
unavailable, which is postulated to result in an adiabatic heatup of 
the spent fuel. The SCE's analysis of this beyond-design-basis accident 
shows that as of October 12, 2014, more than 17 hours would be 
available between the time the fuel is initially uncovered (at which 
time adiabatic heatup is conservatively assumed to begin), until the 
fuel cladding reaches a temperature of 1652 degrees Fahrenheit ([deg]F) 
(900 [ordm]C), which is the temperature associated with rapid cladding 
oxidation and the potential for a significant radiological release. 
This analysis conservatively does not include the period of time from 
the initiating event causing a loss of SFP water inventory until all 
cooling means are lost.
    The NRC staff has verified SCE's analyses and its calculations. The 
analyses provide reasonable assurance that in granting the requested 
exemptions to SCE, there is no design-basis accident that will result 
in an offsite radiological release exceeding the EPA PAGs at the 
exclusion area boundary. In the unlikely event of a beyond-design-basis 
accident affecting the SFP that results in a complete loss of heat 
removal via all modes of heat transfer, there will be well over 10 
hours available before an offsite release might occur and, therefore, 
at least 10 hours to initiate appropriate mitigating actions to restore 
a means of heat removal to the spent fuel. If a radiological release 
were projected to occur under this unlikely scenario, a minimum of 10 
hours is considered sufficient time for offsite authorities to 
implement protective actions using a CEMP approach to protect the 
health and safety of the public.
    Exemptions from the offsite EP requirements in 10 CFR part 50 have 
previously been approved by the NRC when the site-specific analyses 
show that at least 10 hours are available following a loss of SFP 
coolant inventory accident with no air cooling (or other methods of 
removing decay heat) until cladding of the hottest fuel assembly 
reaches the zirconium rapid oxidation temperature. The NRC staff 
concluded in its previously granted exemptions, as it does with the 
SCE-requested EP exemptions, that if a minimum of 10 hours are 
available to initiate mitigative actions consistent with plant 
conditions, or if needed, for offsite authorities to implement 
protective actions using a CEMP approach, then formal offsite 
radiological emergency plans, required under 10 CFR part 50, are not 
necessary at permanently shutdown and defueled power reactors.
    Additionally, in its letters to the NRC dated October 6, 2014, and 
December 15, 2014, SCE described the SFP makeup strategies that could 
be used in

[[Page 33562]]

the event of a catastrophic loss of SFP inventory. The multiple 
strategies for providing makeup water to the SFP include: using 
existing plant systems for inventory makeup; an internal strategy that 
relies on installed fire water pumps and service water or fire water 
storage tanks; or an external strategy that uses portable pumps to 
initiate makeup flow into the SFPs through a seismic standpipe and 
standard fire hoses routed to the SFPs or to a spray nozzle. These 
strategies will continue to be required as a license condition. 
Considering the very low probability of beyond-design-basis accidents 
affecting the SFP, these diverse strategies provide defense-in-depth 
and time to provide additional makeup or spray water to the SFP before 
the onset of any postulated offsite radiological release.
    For all the reasons stated above, the NRC staff concludes that 
application of certain requirements in 10 CFR 50.47(b), 10 CFR 
50.47(c)(2), and 10 CFR part 50, appendix E, as summarized in the table 
at the end of this document, is not necessary to achieve the underlying 
purpose of these regulations and, therefore, satisfies the special 
circumstances in 10 CFR 50.12(a)(2)(ii). The staff further concludes 
that the exemptions granted by this action will maintain an acceptable 
level of emergency preparedness at SONGS and provide reasonable 
assurance that adequate offsite protective measures, if needed, can and 
will be taken by State and local government agencies using a CEMP 
approach, in the unlikely event of a radiological emergency at the 
SONGS facility. Since the underlying purposes of the rules, as 
exempted, would continue to be achieved, even with the elimination of 
the requirements under 10 CFR part 50 to maintain formal offsite 
radiological emergency plans and the reduction in the scope of the 
onsite EP activities at SONGS, the special circumstances required by 10 
CFR 50.12(a)(2)(ii) exist.

E. Environmental Considerations

    In accordance with 10 CFR 51.31(a), the Commission has determined 
that the granting of these exemptions will not have a significant 
effect on the quality of the human environment, as discussed in the NRC 
staff's Environmental Assessment and Finding of No Significant Impact 
published on April 17, 2015 (80 FR 21271).

IV. Conclusions

    Accordingly, the Commission has determined, pursuant to 10 CFR 
50.12(a), that SCE's request for exemptions from certain EP 
requirements in 10 CFR 50.47(b), 10 CFR 50.47(c)(2), and 10 CFR part 
50, appendix E, Section IV, and as summarized in the table at the end 
of this document, are authorized by law, will not present an undue risk 
to the public health and safety, and are consistent with the common 
defense and security. Also, special circumstances are present. 
Therefore, the Commission hereby grants SCE exemptions from certain EP 
requirements of 10 CFR 50.47(b), 10 CFR 50.47(c)(2), and 10 CFR part 
50, appendix E, Section IV, as discussed and evaluated in detail in the 
staff's safety evaluation dated June 4, 2015. The exemptions are 
effective as of June 4, 2015.

    Dated at Rockville, Maryland, this 4th day of June, 2015.

    For the Nuclear Regulatory Commission.
A. Louise Lund,
Acting Director, Division of Operating Reactor Licensing, Office of 
Nuclear Reactor Regulation.

     Table of Exemptions Granted to Southern California Edison (SCE)
------------------------------------------------------------------------
              10 CFR 50.47                NRC staff basis for exemption
------------------------------------------------------------------------
10 CFR 50.47(b). The NRC is granting     In the Statement of
 exemption from portions of the rule      Considerations (SOC) for the
 language that would otherwise require    final rule for emergency
 offsite emergency response plans.        planning (EP) requirements for
                                          independent spent fuel storage
                                          installations (ISFSIs) and for
                                          monitor retrievable storage
                                          (MRS) facilities (60 FR 32430;
                                          June 22, 1995), the Commission
                                          responded to comments
                                          concerning offsite EP for
                                          ISFSIs or an MRS and concluded
                                          that, ``the offsite
                                          consequences of potential
                                          accidents at an ISFSI or an
                                          MRS would not warrant
                                          establishing Emergency
                                          Planning Zones.''
                                         In a nuclear power reactor's
                                          permanently defueled state,
                                          the accident risks are more
                                          similar to an ISFSI or an MRS
                                          than an operating nuclear
                                          power plant. The EP program
                                          would be similar to that
                                          required for an ISFSI under
                                          Section 72.32(a) of 10 CFR
                                          when fuel stored in the spent
                                          fuel pool (SFP) has more than
                                          5 years of decay time and
                                          would not change substantially
                                          when all the fuel is
                                          transferred from the SFP to an
                                          onsite ISFSI. Exemptions from
                                          offsite EP requirements have
                                          previously been approved when
                                          the site-specific analyses
                                          show that at least 10 hours is
                                          available from a partial drain-
                                          down event where cooling of
                                          the spent fuel is not
                                          effective until the hottest
                                          fuel assembly reaches the
                                          zirconium ignition temperature
                                          of 900 degrees Celsius
                                          ([deg]C). The technical basis
                                          that underlies the approval of
                                          the exemption request is based
                                          partly on the analysis of a
                                          time period in which spent
                                          fuel stored in the SFP is
                                          unlikely to reach the
                                          zirconium ignition temperature
                                          in less than 10 hours. This
                                          time period is based on a heat-
                                          up calculation which uses
                                          several simplifying
                                          assumptions. Some of these
                                          assumptions are conservative
                                          (adiabatic conditions), while
                                          others are non-conservative
                                          (no oxidation below 900
                                          [deg]C). Weighing the
                                          conservatisms and non-
                                          conservatisms, the staff
                                          judges that this calculation
                                          reasonably represents
                                          conditions that may occur in
                                          the event of an SFP accident.
                                         The staff concluded that if 10
                                          hours were available to
                                          initiate mitigative actions,
                                          or if needed, offsite
                                          protective actions using a
                                          comprehensive emergency
                                          management plan (CEMP), formal
                                          offsite radiological emergency
                                          plans are not necessary for
                                          these permanently defueled
                                          nuclear power reactor
                                          licensees.

[[Page 33563]]

 
                                         As supported by the licensee's
                                          SFP analysis, the staff
                                          believes an exemption from the
                                          requirements for formal
                                          offsite radiological emergency
                                          plans is justified for a
                                          zirconium fire scenario
                                          considering the low likelihood
                                          of this event together with
                                          time available to take
                                          mitigative or protective
                                          actions between the initiating
                                          event and before the onset of
                                          a postulated fire.
                                         The SCE analysis has
                                          demonstrated that the
                                          radiological consequences of
                                          design-basis-accidents (DBAs)
                                          will not exceed the limits of
                                          the U.S. Environmental
                                          Protection Agency's (EPA's)
                                          Protective Action Guides
                                          (PAGs) at the exclusion area
                                          boundary. These analyses also
                                          show that as of October 12,
                                          2014, in the unlikely event of
                                          a beyond DBA where the hottest
                                          fuel assembly adiabatic heat-
                                          up occurs, 17.8 hours is
                                          available to take mitigative
                                          or, if needed, offsite
                                          protective actions using a
                                          CEMP from the time the fuel is
                                          uncovered until it reaches the
                                          auto-ignition temperature of
                                          900 [deg]C.
                                         SCE furnished information to
                                          supplement its exemption
                                          request concerning its SFP
                                          inventory makeup strategies.
                                          The multiple strategies for
                                          providing makeup to the SFP
                                          include: using existing plant
                                          systems for inventory makeup;
                                          an internal strategy that
                                          relies on installed fire water
                                          pumps (two motor-driven and
                                          one diesel-driven) and service
                                          and firewater storage tanks;
                                          or an external strategy that
                                          uses portable pumps to
                                          initiate make-up flow into the
                                          pools through a seismic
                                          standpipe and standard fire
                                          water hoses routed either over
                                          the pools' edges or to spray
                                          nozzles. SCE further provides
                                          that designated on-shift staff
                                          is trained to implement such
                                          strategies and they have plans
                                          in place to mitigate the
                                          consequences of an event
                                          involving a catastrophic loss-
                                          of-water inventory
                                          concurrently from both San
                                          Onofre Nuclear Generating
                                          Station (SONGS), Units 2 and 3
                                          SFPs. It is estimated that it
                                          would take approximately 55
                                          minutes to deliver flow to one
                                          pool, with an additional 35
                                          minutes to provide water to
                                          the second pool without having
                                          to relocate the trailer-
                                          mounted pump. Relocation of
                                          the trailer-mounted pump, if
                                          required, would take
                                          approximately 30 additional
                                          minutes. The SCE will maintain
                                          its Mitigating Strategies
                                          License Conditions for Units 2
                                          and 3 (2.C(26) for Unit 2 and
                                          2.C(27) for Unit 3). These
                                          license conditions require
                                          SONGS to maintain its SFP
                                          inventory makeup strategies as
                                          discussed above.
10 CFR 50.47(b)(1). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b).
 language that would otherwise require
 the need for Emergency Planning Zones
 (EPZs).
10 CFR 50.47(b)(3). The NRC is granting  Decommissioning power reactors
 exemption from portions of the rule      present a low likelihood of
 language that would otherwise require    any credible accident
 the need for an emergency operations     resulting in a radiological
 facility (EOF).                          release together with the time
                                          available to take mitigative
                                          or, if needed, offsite
                                          protective actions using a
                                          CEMP between the initiating
                                          event and before the onset of
                                          a postulated fire. As such, an
                                          EOF would not be required. The
                                          ``nuclear island,'' control
                                          room, or other onsite location
                                          can provide for the
                                          communication and coordination
                                          with offsite organizations for
                                          the level of support required.
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR 50.47(b)(4). The NRC is granting  Decommissioning power reactors
 exemption from portions of the rule      present a low likelihood of
 language that would otherwise require    any credible accident
 reference to formal offsite              resulting in a radiological
 radiological emergency response plans.   release together with the time
                                          available to take mitigative
                                          or, if needed, offsite
                                          protective actions using a
                                          CEMP between the initiating
                                          event and before the onset of
                                          a postulated fire. As such,
                                          formal offsite radiological
                                          emergency response plans are
                                          not required.
                                         The Nuclear Energy Institute
                                          (NEI) document NEI 99-01,
                                          ``Development of Emergency
                                          Action Levels for Non-Passive
                                          Reactors'' (Revision 6), was
                                          found to be an acceptable
                                          method for development of
                                          emergency action levels (EALs)
                                          and was endorsed by the NRC in
                                          a letter dated March 28, 2013
                                          (ADAMS Accession No.
                                          ML12346A463). NEI 99-01
                                          provides EALs for non-passive
                                          operating nuclear power
                                          reactors, permanently defueled
                                          reactors and ISFSIs.
                                         The SCE requested a license
                                          amendment to revise its EAL
                                          scheme to NEI 99-01, Revision
                                          6 in a letter dated March 31,
                                          2014, ``Permanently Defueled
                                          Emergency Action Level Scheme,
                                          San Onofre Nuclear Generating
                                          Station, Units 1, 2, and 3,
                                          Respectively, and Independent
                                          Spent Fuel Storage
                                          Installation'' (ADAMS
                                          Accession No. ML14092A249).
                                         Also refer to basis for 10 CFR
                                          50.47(b).

[[Page 33564]]

 
10 CFR 50.47(b)(5). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b).
 language that would otherwise require
 early notification of the public and a
 means to provide instructions to the
 public within the plume exposure
 pathway EPZ.
10 CFR 50.47(b)(6). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b).
 language that would otherwise require
 prompt communications with the public.
10 CFR 50.47(b)(7). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b).
 language that would otherwise require
 information to be made available to
 the public on a periodic basis about
 how they will be notified and what
 their initial protective actions
 should be.
10 CFR 50.47(b)(9). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b).
 language that would otherwise require
 the capability for monitoring offsite
 consequences.
10 CFR 50.47(b)(10). The NRC is          In the unlikely event of an SFP
 granting exemption from portions of      accident, the iodine isotopes,
 the rule language that would reduce      which contribute to an offsite
 the range of protective actions          dose from an operating reactor
 developed for emergency workers and      accident, are not present, so
 the public. Consideration of             potassium iodide distribution
 evacuation, sheltering, or the use of    would no longer serve as an
 potassium iodide will no longer be       effective or necessary
 necessary. Evacuation time estimates     supplemental protective
 (ETEs) will no longer need to be         action.
 developed or updated. Protective        In the SOC for the final rule
 actions for the ingestion exposure       for EP requirements for ISFSIs
 pathway EPZ will not need to be          and for MRS facilities (60 FR
 developed.                               32430), the Commission
                                          responded to comments
                                          concerning site-specific EP
                                          that includes evacuation of
                                          surrounding population for an
                                          ISFSI not at a reactor site,
                                          and concluded, ``The
                                          Commission does not agree that
                                          as a general matter emergency
                                          plans for an ISFSI must
                                          include evacuation planning.''
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR 50.47(c)(2). The NRC is granting  Refer to basis for 10 CFR
 exemption from portions of the rule      50.47(b)(10).
 language that would otherwise require
 the establishment of a 10-mile radius
 plume exposure pathway EPZ and a 50-
 mile radius ingestion pathway EPZ..
------------------------------------------------------------------------


------------------------------------------------------------------------
 10 CFR Part 50, Appendix E, Section IV   NRC staff basis for exemption
------------------------------------------------------------------------
10 CFR Part 50, Appendix E, Section      The EP rule published in the
 IV.1. The NRC is granting exemption      Federal Register (76 FR 72560;
 from portions of the rule language       November 23, 2011) amended
 that would otherwise require onsite      certain requirements in 10 CFR
 protective actions during hostile        Part 50.
 action.                                 Among the changes, the
                                          definition of ``hostile
                                          action'' was added as an act
                                          directed toward a nuclear
                                          power plant or its personnel.
                                          This definition is based on
                                          the definition of ``hostile
                                          action'' provided in NRC
                                          Bulletin 2005-02, ``Emergency
                                          Preparedness and Response
                                          Actions for Security-Based
                                          Events,'' dated July 18, 2005
                                          (ADAMS Accession No.
                                          ML051740058). NRC Bulletin
                                          2005-02 is not applicable to
                                          nuclear power reactors that
                                          have permanently ceased
                                          operations and have certified
                                          that fuel has been removed
                                          from the reactor vessel. SCE
                                          certified that it had
                                          permanently ceased operations
                                          at SONGS Units 2 and 3 and
                                          that all fuel at those units
                                          had been removed from the
                                          reactor vessels. Therefore,
                                          the enhancements for hostile
                                          actions required by the 2011
                                          EP Final Rule are not
                                          necessary for SONGS in its
                                          permanently shut down and
                                          defueled status.
                                         Additionally, the NRC excluded
                                          non-power reactors from the
                                          definition of ``hostile
                                          action'' at the time of the
                                          2011 rulemaking because, as
                                          defined in 10 CFR 50.2, a non-
                                          power reactor is not
                                          considered a nuclear power
                                          reactor and a regulatory basis
                                          had not been developed to
                                          support the inclusion of non-
                                          power reactors in the
                                          definition of ``hostile
                                          action.'' Similarly, a
                                          decommissioning power reactor
                                          or ISFSI is not a ``nuclear
                                          reactor'' as defined in the
                                          NRC's regulations. Like a non-
                                          power reactor, a
                                          decommissioning power reactor
                                          also has a lower likelihood of
                                          a credible accident resulting
                                          in radiological releases
                                          requiring offsite protective
                                          measures than does an
                                          operating reactor.
                                         Although this analysis provides
                                          a justification for exempting
                                          SONGS from ``hostile action''
                                          related requirements, some EP
                                          requirements for security-
                                          based events are maintained.
                                          The classification of security-
                                          based events, notification of
                                          offsite authorities and
                                          coordination with offsite
                                          agencies under a CEMP concept
                                          are still required.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR
 IV.2. The NRC is granting exemption      50.47(b)(10).
 from portions of the rule language
 concerning the evacuation time
 analyses within the plume exposure
 pathway EPZ for the licensee's initial
 application.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.3. The NRC is granting exemption      50, Appendix E, Section IV.2.
 from portions of the rule language
 that would otherwise require use of
 NRC-approved ETEs and updates to State
 and local governments when developing
 protective action strategies.

[[Page 33565]]

 
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.4. The NRC is granting exemption      50, Appendix E, Section IV.2.
 from portions of the rule language
 that would otherwise require licensees
 to update ETEs based on the most
 recent census data and submit the ETE
 analysis to the NRC prior to providing
 it to State and local governments for
 developing protective action.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.5. The NRC is granting exemption      50, Appendix E, Section IV.2.
 from portions of the rule language
 that would otherwise require licensees
 to estimate the EPZ permanent resident
 population changes once a year between
 decennial censuses.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.6. The NRC is granting exemption      50, Appendix E, Section IV.2.
 from portions of the rule language
 that would otherwise require the
 licensee to submit an updated ETE
 analysis to the NRC based on changes
 in the resident population that result
 in exceeding specific evacuation time
 increase criteria.
10 CFR Part 50, Appendix E, Section      Based on the permanently shut
 IV.A.1. The NRC is granting exemption    down and defueled status of
 from the word ``operating'' in the       the reactor, a decommissioning
 requirement to describe the normal       reactor is not authorized to
 plant organization.                      operate under 10 CFR 50.82(a).
                                          Because the licensee cannot
                                          operate the reactors, the
                                          licensee does not have a
                                          ``plant operating
                                          organization.''
10 CFR Part 50, Appendix E, Section      The number of staff at
 IV.A.3. The NRC is granting exemption    decommissioning sites is
 from the requirement to describe the     generally small but is
 licensee's headquarters personnel sent   commensurate with the need to
 to the site to augment the onsite        safely store spent fuel at the
 emergency response organization.         facility in a manner that is
                                          protective of public health
                                          and safety. Decommissioning
                                          sites typically have a level
                                          of emergency response that
                                          does not require response by
                                          the licensee's headquarters
                                          personnel.
10 CFR Part 50, Appendix E, Section      Although the likelihood of
 IV.A.4. The NRC is granting exemption    events that would result in
 from portions of the rule language       doses in excess of the EPA
 that would otherwise require the         PAGs to the public beyond the
 licensee to identify a position and      exclusion area boundary based
 function within its organization,        on the permanently shut down
 which will carry the responsibility      and defueled status of the
 for making offsite dose projections.     reactor is extremely low, the
                                          licensee is still required to
                                          determine if a radiological
                                          release is occurring. If a
                                          release is occurring, then the
                                          licensee staff should promptly
                                          communicate that information
                                          to offsite authorities for
                                          their consideration. The
                                          offsite organizations are
                                          responsible for deciding what,
                                          if any, protective actions
                                          should be taken based on a
                                          CEMP.
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR Part 50, Appendix E, Section      SONGS has performed an on-shift
 IV.A.5. The NRC is granting exemption    staffing analysis, addressing
 from the requirement for the licensee    SFP mitigating strategies,
 to identify individuals with special     including review of collateral
 qualifications, both licensee            duties. The specific event
 employees and non-employees, for         scenario utilized for the
 coping with emergencies.                 staffing analysis involves a
                                          catastrophic loss-of-water
                                          inventory in one SFP.
                                         In addition to the scenario
                                          described above, SONGS
                                          performed a separate case
                                          study to validate that the
                                          minimum on-shift staff can
                                          perform mitigation efforts in
                                          the event that the second SFP
                                          is also affected by a
                                          catastrophic loss-of-water
                                          inventory.
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.A.7. The NRC is granting exemption    50, Appendix E, Section IV.1.
 from portions of the rule language
 that would otherwise require a
 description of the assistance expected
 from State, local, and Federal
 agencies for coping with a hostile
 action.
10 CFR Part 50, Appendix E, Section      Offsite emergency measures are
 IV.A.8. The NRC is granting exemption    limited to support provided by
 from the requirement to identify the     local police, fire
 State and local officials for ordering   departments, and ambulance and
 protective actions and evacuations..     hospital services, as
                                          appropriate. Due to the low
                                          probability of DBAs or other
                                          credible events to exceed the
                                          EPA PAGs, protective actions
                                          such as evacuation should not
                                          be required, but could be
                                          implemented at the discretion
                                          of offsite authorities using a
                                          CEMP.
                                         Also refer to basis for 10 CFR
                                          50.47(b)(10).
10 CFR Part 50, Appendix E, Section      The duties of the on-shift
 IV.A.9. The NRC is granting exemption    personnel at a decommissioning
 from the requirement for the licensee    reactor facility are not as
 to provide an analysis demonstrating     complicated and diverse as
 that on-shift personnel are not          those for an operating power
 assigned responsibilities that would     reactor. Responsibilities
 prevent performance of their assigned    should be well defined in the
 emergency plan functions.                emergency plan and procedures,
                                          regularly tested through
                                          drills and exercises audited
                                          and inspected by the licensee
                                          and the NRC.
                                         The staff considered the
                                          similarity between the
                                          staffing levels at a
                                          permanently shut down and
                                          defueled reactor and staffing
                                          levels at an operating power
                                          reactor site. The minimal
                                          systems and equipment needed
                                          to maintain the spent nuclear
                                          fuel in the SFP or in a dry
                                          cask storage system in a safe
                                          condition require minimal
                                          personnel and is governed by
                                          Technical Specifications. In
                                          the EP final rule published in
                                          the Federal Register (76 FR
                                          72560; November 23, 2011), the
                                          NRC concluded that the
                                          staffing analysis requirement
                                          was not necessary for non-
                                          power reactor licensees due to
                                          the small staffing levels
                                          required to operate the
                                          facility.

[[Page 33566]]

 
                                         The staff also examined the
                                          actions required to mitigate
                                          the very low probability
                                          beyond-design-basis events for
                                          the SFP. In a letter dated
                                          October 1, 2014, ``Docket Nos.
                                          50-361 and 50-362 Supplement 1
                                          to Amendment Applications 266
                                          and 251 Permanently Defueled
                                          Technical Specifications San
                                          Onofre Nuclear Generating
                                          Station, Units 2 and 3''
                                          (ADAMS Accession No.
                                          ML14280A264), SCE withdrew the
                                          proposed changes to the
                                          Mitigating Strategies License
                                          Condition for Units 2 and 3
                                          (2.C(26) for Unit 2 and
                                          2.C(27) for Unit 3). This
                                          license condition requires
                                          SONGS to maintain its SFP
                                          inventory makeup strategies as
                                          discussed above.
                                         SONGS has performed an on-shift
                                          staffing analysis, addressing
                                          SFP mitigating strategies,
                                          including review of collateral
                                          duties. The specific event
                                          scenario utilized for the
                                          staffing analysis involves a
                                          catastrophic loss-of-water
                                          inventory in one SFP.
                                         In addition to the scenario
                                          described above, SONGS
                                          performed a separate case
                                          study to validate that the
                                          minimum on-shift staff can
                                          perform mitigation efforts in
                                          the event that the second SFP
                                          is also affected by a
                                          catastrophic loss-of-water
                                          inventory.
                                         Also refer to basis for 10 CFR
                                          Part 50, Appendix E, Section
                                          IV.1.
10 CFR Part 50, Appendix E, Section      NEI 99-01 was found to be an
 IV.B.1. The NRC is granting exemption    acceptable method for
 from portions of the rule language       development of EALs. No
 that would otherwise require offsite     offsite protective actions are
 EALs and offsite protective measures     anticipated to be necessary,
 and associate offsite monitoring for     so classification above the
 the emergency conditions.                alert level is no longer
In addition, the NRC is granting          required, which is consistent
 exemption from portions of the rule      with ISFSI facilities.
 language that would otherwise require   As discussed previously, SCE
 EALs based on hostile action.            requested a license amendment
                                          to revise its EAL scheme to
                                          NEI 99-01, Revision 6 in a
                                          letter dated March 31, 2014,
                                          ``Permanently Defueled
                                          Emergency Action Level Scheme,
                                          San Onofre Nuclear Generating
                                          Station, Units 1, 2, and 3,
                                          respectively, and Independent
                                          Spent Fuel Storage
                                          Installation'' (ADAMS
                                          Accession No. ML14092A249).
                                          Before SCE can amend its EAL
                                          scheme to reflect the risk
                                          commensurate with power
                                          reactors that have been
                                          permanently shut down and
                                          defueled, SCE needs an
                                          exemption from the requirement
                                          for the site area emergency
                                          and general emergency
                                          classifications.
                                         Also refer to basis for 10 CFR
                                          Part 50, Appendix E, Section
                                          IV.1.
10 CFR Part 50, Appendix E, Section      Containment parameters do not
 IV.C.1. The NRC is granting exemption    provide an indication of the
 from portions of the rule language       conditions at a defueled
 that would otherwise require EALs        facility and emergency core
 based on operating reactor concerns,     cooling systems are no longer
 such as offsite radiation monitoring,    required. Other indications,
 pressure in containment, and the         such as SFP level or
 response of the emergency core cooling   temperature, can be used at
 system.                                  sites where there is spent
In addition, the NRC is striking          fuel in the SFPs.
 language that would otherwise require   In the SOC for the final rule
 offsite EALs of a site area emergency    for EP requirements for ISFSIs
 and a general emergency.                 and for MRS facilities (60 FR
                                          32430), the Commission
                                          responded to comments
                                          concerning a general emergency
                                          at an ISFSI and MRS, and
                                          concluded that, ``. . . an
                                          essential element of a General
                                          Emergency is that a release
                                          can be reasonably expected to
                                          exceed EPA PAGs exposure
                                          levels off site for more than
                                          the immediate site area.''
                                         The probability of a condition
                                          at a defueled facility causing
                                          a release of radioactive
                                          material offsite necessitating
                                          a declaration of a site area
                                          or general emergency is very
                                          low. In the event of an
                                          accident at a defueled
                                          facility that meets the
                                          conditions for exemption from
                                          formal EP requirements, there
                                          will be available time for
                                          event mitigation and, if
                                          necessary, implementation of
                                          offsite protective actions
                                          using a CEMP.
                                         NEI 99-01 was found to be an
                                          acceptable method for
                                          development of EALs. No
                                          offsite protective actions are
                                          anticipated to be necessary,
                                          so classification above the
                                          alert level is no longer
                                          required.
10 CFR Part 50, Appendix E, Section      In the EP rule published in the
 IV.C.2. The NRC is granting exemption    November 23, 2011, Federal
 from portions of the rule language       Register (76 FR 72560),
 that would otherwise require the         nuclear power reactor
 licensee to assess, classify, and        licensees were required to
 declare an emergency condition within    assess, classify and declare
 15 minutes.                              an emergency condition within
                                          15 minutes. Non-power reactors
                                          do not have the same potential
                                          impact on public health and
                                          safety as do power reactors,
                                          and as such, non-power reactor
                                          licensees do not require
                                          complex offsite emergency
                                          response activities and are
                                          not required to assess,
                                          classify and declare an
                                          emergency condition within 15
                                          minutes. An SFP and an ISFSI
                                          are also not nuclear power
                                          reactors as defined in the
                                          NRC's regulations and do not
                                          have the same potential impact
                                          on public health and safety as
                                          do power reactors. A
                                          decommissioning power reactor
                                          has a low likelihood of a
                                          credible accident resulting in
                                          radiological releases
                                          requiring offsite protective
                                          measures. For these reasons,
                                          the staff concludes that a
                                          decommissioning power reactor
                                          should not be required to
                                          assess, classify and declare
                                          an emergency condition within
                                          15 minutes.

[[Page 33567]]

 
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR
 IV.D.1. The NRC is granting exemption    50.47(b) and 10 CFR
 from portions of the rule language       50.47(b)(10).
 that would otherwise require the
 licensee to reach agreement with
 local, State, and Federal officials
 and agencies for prompt notification
 of protective measures or evacuations.
In addition, the NRC is granting
 exemption from identifying the
 associated titles of officials to be
 notified for each agency within the
 EPZs.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.D.2. The NRC is granting exemption    50, Appendix E, Section
 from the requirement for the licensee    IV.D.1.
 to annually disseminate general
 information on EP and evacuations
 within the plume exposure pathway EPZ.
In addition, the NRC is granting
 exemption for the need for signage or
 other measures to address transient
 populations in the event of an
 accident.
10 CFR Part 50, Appendix E, Section      While the capability needs to
 IV.D.3. The NRC is granting exemption    exist for the notification of
 from portions of the rule language       offsite government agencies
 that would otherwise require the         within a specified time
 licensee to have the capability to       period, previous exemptions
 make notifications to State and local    have allowed for extending the
 government agencies within 15 minutes    State and local government
 of declaring an emergency.               agencies' notification time up
                                          to 60 minutes based on the
                                          site-specific justification
                                          provided.
                                         SCE's license amendment request
                                          to approve its Permanently
                                          Defueled Emergency Plan (PDEP)
                                          dated March 31, 2014 (ADAMS
                                          Accession No. ML14092A314),
                                          provides that SONGS will make
                                          notifications to the State of
                                          California, the local counties
                                          (Orange and San Diego), and
                                          Marine Corps Base Camp
                                          Pendleton within 60 minutes of
                                          declaration of an event.
                                          Considering the very low
                                          probability of beyond-design-
                                          basis events affecting the
                                          SFP, and with the time
                                          available to initiate
                                          mitigative actions consistent
                                          with plant conditions or, if
                                          needed, for offsite
                                          authorities to implement
                                          appropriate protective
                                          measures using a CEMP (all-
                                          hazards) approach between the
                                          loss of both water and air
                                          cooling to the spent fuel and
                                          the onset of a postulated
                                          zirconium cladding fire,
                                          formal offsite radiological
                                          response plans are not needed.
                                          Therefore, decommissioning
                                          reactors are not required to
                                          notify State and local
                                          governmental agencies within
                                          15 minutes. For similar
                                          reasons, the requirement for
                                          alerting and providing prompt
                                          instructions to the public
                                          within the plume exposure
                                          pathway EPZ using an alert and
                                          notification system is not
                                          required.
                                         Also refer to basis for 10 CFR
                                          50.47(b) and 10 CFR
                                          50.47(b)(10).
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.D.4. The NRC is granting exemption    50, Appendix E, Section IV.D.3
 from the requirement for the licensee    regarding the alert and
 to obtain U.S. Federal Emergency         notification system
 Management Agency (FEMA) approval of     requirements.
 its backup alert and notification
 capability.
10 CFR Part 50, Appendix E, Section      Due to the low probability of
 IV.E.8.a.(i). The NRC is granting        DBAs or other credible events
 exemption from portions of the rule      to exceed the EPA PAGs at the
 language that would otherwise require    site boundary, the available
 the licensee to have an onsite           time for event mitigation at a
 technical support center (TSC) and EOF.  decommissioning power reactor
                                          and, if needed, to implement
                                          offsite protective actions
                                          using a CEMP, an EOF would not
                                          be required to support offsite
                                          agency response. In addition,
                                          an onsite TSC with Part 50,
                                          Appendix E requirements would
                                          not be needed. SCE proposes in
                                          its PDEP that onsite actions
                                          would be directed from the
                                          Command Center.
10 CFR Part 50, Appendix E, Section      NUREG-0696, ``Functional
 IV.E.8.a.(ii). The NRC is granting       Criteria for Emergency
 exemption from portions of the rule      Response Facilities,''
 language that would otherwise require    provides that the OSC is an
 the licensee to have an onsite           onsite area separate from the
 operational support center (OSC).        control room and the TSC where
                                          licensee operations support
                                          personnel will assemble in an
                                          emergency. For a
                                          decommissioning power reactor,
                                          an OSC is no longer required
                                          to meet its original purpose
                                          of an assembly area for plant
                                          logistical support during an
                                          emergency. The OSC function
                                          can be incorporated into the
                                          Command Center, as proposed by
                                          SCE.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR
 IV.E.8.b. and subpart Sections           50.47(b)(3).
 IV.E.8.b.(1)-E.8.b.(5). The NRC is
 granting exemption from the
 requirements related to an offsite EOF
 location, space and size,
 communications capability, access to
 plant data and radiological
 information, and access to coping and
 office supplies.
10 CFR Part 50, Appendix E, Section IV   Refer to basis for 10 CFR
 E.8.c. and Sections IV E.8.c.(1)-        50.47(b)(3).
 E.8.c.(3). The NRC is granting
 exemption from the requirements to
 have an EOF with the capabilities to
 obtain and display plant data and
 radiological information; the
 capability to analyze technical
 information and provide briefings; and
 the capability to support events
 occurring at more than one site (if
 the emergency operations center
 supports more than one site).

[[Page 33568]]

 
10 CFR Part 50, Appendix E, Section IV   Refer to basis for 10 CFR Part
 E.8.d. The NRC is granting exemption     50, Appendix E, Section IV.1
 from the requirements to have an         regarding hostile action.
 alternate facility that would be
 accessible even if the site is under
 threat of or experiencing hostile
 action, to function as a staging area
 for augmentation of emergency response
 staff.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR
 IV.E.8.e. The NRC is granting            50.47(b)(3).
 exemption from the requirement
 regarding the need for the licensee to
 comply with paragraph 8.b of this
 section.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR
 IV.E.9.a. The NRC is granting            50.47(b) and 10 CFR
 exemption from portions of the rule      50.47(b)(10).
 language that would otherwise require   The State and the local
 the licensee to have communications      governments in which the
 with contiguous State and local          nuclear facility is located
 governments that are within the plume    need to be informed of events
 exposure pathway EPZ (which is no        and emergencies, so lines of
 longer required by the exemption         communication are required to
 granted to 10 CFR 50.47(b)(10)).         be maintained.
10 CFR Part 50, Appendix E, Section      Because of the low probability
 IV.E.9.c. The NRC is granting            of DBAs or other credible
 exemption from the requirements for      events that would be expected
 communication and testing provisions     to exceed the EPA PAGs and the
 between the control room, the onsite     available time for event
 TSC, State/local emergency operations    mitigation and, if needed,
 centers, and field assessment teams.     implementation of offsite
                                          protective actions using a
                                          CEMP, there is no need for the
                                          TSC, EOF, or offsite field
                                          assessment teams.
                                         Also refer to justification for
                                          10 CFR 50.47(b)(3).
                                          Communication with State and
                                          local emergency operations
                                          centers is maintained to
                                          coordinate assistance on site
                                          if required.
10 CFR Part 50, Appendix E, Section      The functions of the control
 IV.E.9.d. The NRC is granting            room, EOF, TSC, and OSC may be
 exemption from portions of the rule      combined into one or more
 language that would otherwise require    locations at a permanently
 provisions for communications from the   shutdown and defueled facility
 control room, onsite TSC, and EOF with   due to its smaller facility
 NRC Headquarters and appropriate         staff and the greatly reduced
 Regional Operations Center.              required interaction with
                                          State and local emergency
                                          response facilities, as
                                          compared to an operating
                                          reactor.
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR Part 50, Appendix E, Section      Decommissioning power reactor
 IV.F.1. and Section IV F.1.viii. The     sites typically have a level
 NRC is granting exemption from           of emergency response that
 portions of the rule language that       does not require additional
 would otherwise require the licensee     response by the licensee's
 to provide training and drills for the   headquarters personnel.
 licensee's headquarters personnel,       Therefore, the staff considers
 Civil Defense personnel, or local news   exempting licensee's
 media.                                   headquarters personnel from
                                          training requirements to be
                                          reasonable.
                                         Due to the low probability of
                                          DBAs or other credible events
                                          to exceed the EPA PAGs,
                                          offsite emergency measures are
                                          limited to support provided by
                                          local police, fire
                                          departments, and ambulance and
                                          hospital services, as
                                          appropriate. Local news media
                                          personnel no longer need
                                          radiological orientation
                                          training since they will not
                                          be called upon to support the
                                          formal Joint Information
                                          Center. The term ``Civil
                                          Defense'' is no longer
                                          commonly used; references to
                                          this term in the examples
                                          provided in the regulation
                                          are, therefore, not needed.
10 CFR Part 50, Appendix E, Section      Because of the low probability
 IV.F.2. The NRC is granting exemption    of DBAs or other credible
 from portions of the rule language       events that would be expected
 that would otherwise require testing     to exceed the limits of EPA
 of a public alert and notification       PAGs and the available time
 system.                                  for event mitigation and, if
                                          necessary, offsite protective
                                          actions from a CEMP, the
                                          public alert and notification
                                          system will not be used and,
                                          therefore, requires no
                                          testing.
                                         Also refer to basis for 10 CFR
                                          50.47(b).
10 CFR Part 50, Appendix E, Section      Due to the low probability of
 IV.F.2.a. and Sections IV.F.2.a.(i)      DBAs or other credible events
 through IV.F.2.a.(iii). The NRC is       that would be expected to
 granting exemption from the              exceed the limits of EPA PAGs,
 requirements for full participation      the available time for event
 exercises and the submittal of the       mitigation and, if necessary,
 associated exercise scenarios to the     implementation of offsite
 NRC.                                     protective actions using a
                                          CEMP, no formal offsite
                                          radiological response plans
                                          are required. Therefore, the
                                          need for the licensee to
                                          exercise onsite and offsite
                                          plans with full participation
                                          by each offsite authority
                                          having a role under the
                                          radiological response plan is
                                          not required.
                                         The intent of submitting
                                          exercise scenarios at an
                                          operating power reactor site
                                          is to check that licensees
                                          utilize different scenarios in
                                          order to prevent the
                                          preconditioning of responders
                                          at power reactors. For
                                          decommissioning power reactor
                                          sites, there are limited
                                          events that could occur and,
                                          as such, the previously
                                          routine progression to general
                                          emergency in an operating
                                          power reactor site scenario is
                                          not applicable.
                                         The licensee would be exempt
                                          from 10 CFR Part 50, Appendix
                                          E, Section IV.F.2.a.(i)-(iii)
                                          because the licensee would be
                                          exempt from the umbrella
                                          provision of 10 CFR Part 50,
                                          Appendix E, Section IV.F.2.a.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.F.2.b. The NRC is granting            50, Appendix E, Section
 exemption from portions of the rule      IV.F.2.a.
 language that would otherwise require   The low probability of DBAs or
 the licensee to submit scenarios for     other credible events that
 its biennial exercises of its onsite     would exceed the EPA PAGs, the
 emergency plan. In addition, the NRC     available time for event
 is granting exemption from portions of   mitigation and, if necessary,
 the rule language that requires          implementation of offsite
 assessment of offsite releases,          protective actions using a
 protective action decision making, and   CEMP, render a TSC, OSC, and
 references to the TSC, OSC, and EOF.     EOF unnecessary. The principal
                                          functions required by
                                          regulation can be performed at
                                          an onsite location that does
                                          not meet the requirements of
                                          the TSC, OSC or EOF.

[[Page 33569]]

 
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.F.2.c. and Sections IV F.2.c.(1)      50, Appendix E, Section
 through F.2.c.(5). The NRC is granting   IV.F.2.a.
 exemption from the requirements
 regarding the need for the licensee to
 exercise offsite plans biennially with
 full participation by each offsite
 authority having a role under the
 radiological response plan. The NRC is
 also granting exemptions from the
 conditions for conducting these
 exercises (including hostile action
 exercises) if two different licensees
 have facilities on the same site or on
 adjacent, contiguous sites, or share
 most of the elements defining co-
 located licensees.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.F.2.d. The NRC is granting            50, Appendix E, Section IV.2.
 exemption from the requirements to
 obtain State participation in an
 ingestion pathway exercise and a
 hostile action exercise, with each
 State that has responsibilities, at
 least once per exercise cycle.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.F.2.e. The NRC is granting            50, Appendix E, Section IV.2.
 exemption from portions of the rule
 language that would otherwise require
 the licensee to allow participation
 exercise in licensee drills by any
 State and local government in the
 plume exposure pathway EPZ when
 requested.
10 CFR Part 50, Appendix E, Section      FEMA is responsible for
 IV.F.2.f. The NRC is granting            evaluating the adequacy of
 exemption from portions of the rule      offsite response during an
 language that would otherwise require    exercise. Because the NRC is
 FEMA to consult with the NRC on          granting exemptions from the
 remedial exercises. The NRC is           requirements regarding the
 granting exemption from portions of      need for the licensee to
 the rule language that discuss the       exercise onsite and offsite
 extent of State and local                plans with full participation
 participation in remedial exercises.     by each offsite authority
                                          having a role under the
                                          radiological response plan,
                                          FEMA will no longer evaluate
                                          adequacy of offsite response
                                          during remedial or other
                                          exercises.
                                         No action is expected from
                                          State or local government
                                          organizations in response to
                                          an event at a decommissioning
                                          power reactor site other than
                                          firefighting, law enforcement
                                          and ambulance/medical services
                                          support. A memorandum of
                                          understanding should be in
                                          place for those services.
                                          Offsite response organizations
                                          will continue to take actions
                                          on a comprehensive EP basis to
                                          protect the health and safety
                                          of the public as they would at
                                          any other industrial site.
10 CFR Part 50, Appendix E, Section      Due to the low probability of
 IV.F.2.i. The NRC is granting            DBAs or other credible events
 exemption from portions of the rule      to exceed the EPA PAGs, the
 language that would otherwise require    available time for event
 the licensee to drill and exercise       mitigation and, if needed,
 scenarios that include a wide spectrum   implementation of offsite
 of radiological release events and       protective actions using a
 hostile action.                          CEMP, the previously routine
                                          progression to general
                                          emergency in power reactor
                                          site scenarios is not
                                          applicable to a
                                          decommissioning site.
                                          Therefore, the licensee is not
                                          expected to demonstrate
                                          response to a wide spectrum of
                                          events.
                                         Also refer to basis for 10 CFR
                                          Part 50, Appendix E, Section
                                          IV.1 regarding hostile action.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.F.2.j. The NRC is granting            50, Appendix E, Section
 exemption from the requirements          IV.F.2.
 regarding the need for the licensee's
 emergency response organization to
 demonstrate proficiency in key skills
 in the principal functional areas of
 emergency response..
In addition, the NRC is granting
 exemption during an eight calendar
 year exercise cycle, from
 demonstrating proficiency in the key
 skills necessary to respond to such
 scenarios as hostile actions,
 unplanned minimal radiological
 release, and scenarios involving rapid
 escalation to a site area emergency or
 general emergency.
10 CFR Part 50, Appendix E, Section      Refer to basis for 10 CFR Part
 IV.I The NRC is granting exemption       50, Appendix E, Section
 from the requirements regarding the      IV.E.8.d.
 need for the licensee to develop a
 range of protective actions for onsite
 personnel during hostile actions.
------------------------------------------------------------------------

[FR Doc. 2015-14423 Filed 6-11-15; 8:45 am]
 BILLING CODE 7590-01-P



                                                  33558                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                    Total Estimated Annual Time Burden:                     Music (review of applications): This                 financial assistance under the National
                                                  1,668 hours.                                            meeting will be closed.                                Foundation on the Arts and the
                                                    Total Estimated Annual Other Costs                      Dates: July 14, 2015; 3:00 p.m. to 5:00              Humanities Act of 1965, as amended,
                                                  Burden: $26,898.                                        p.m.                                                   including information given in
                                                    Dated: June 5, 2015.                                    Media Arts (review of applications):                 confidence to the agency. In accordance
                                                  Michel Smyth,
                                                                                                          This meeting will be closed.                           with the determination of the Chairman
                                                                                                            Dates: July 15, 2015; 11:30 a.m. to                  of February 15, 2012, these sessions will
                                                  Departmental Clearance Officer.
                                                                                                          1:30 p.m.                                              be closed to the public pursuant to
                                                  [FR Doc. 2015–14382 Filed 6–11–15; 8:45 am]
                                                                                                            Media Arts (review of applications):                 subsection (c)(6) of section 552b of title
                                                  BILLING CODE 4510–29–P                                  This meeting will be closed.                           5, United States Code.
                                                                                                            Dates: July 15, 2015; 2:30 p.m. to 4:30                Dated: June 9, 2015.
                                                                                                          p.m.
                                                  NATIONAL FOUNDATION ON THE                                                                                     Kathy Plowitz-Worden,
                                                                                                            Arts Education (review of
                                                  ARTS AND THE HUMANITIES                                                                                        Panel Coordinator, National Endowment for
                                                                                                          applications): This meeting will be
                                                                                                                                                                 the Arts.
                                                                                                          closed.
                                                  National Endowment for the Arts                           Dates: July 16, 2015; 1:45 p.m. to 3:30              [FR Doc. 2015–14420 Filed 6–11–15; 8:45 am]
                                                                                                                                                                 BILLING CODE 7537–01–P
                                                                                                          p.m.
                                                  Arts Advisory Panel Meetings
                                                                                                            Museums (review of applications):
                                                  AGENCY:  National Endowment for the                     This meeting will be closed.
                                                  Arts, National Foundation on the Arts                     Dates: July 16, 2015; 2:30 p.m. to 4:30              NUCLEAR REGULATORY
                                                  and Humanities.                                         p.m.                                                   COMMISSION
                                                  ACTION: Notice of meeting.                                Music (review of applications): This                 [Docket Nos. 50–206, 50–361, 50–362, and
                                                                                                          meeting will be closed.                                72–41; NRC–2015–0093]
                                                  SUMMARY:   Pursuant to section 10(a)(2) of                Dates: July 16, 2015; 12:00 p.m. to
                                                  the Federal Advisory Committee Act                      2:00 p.m.                                              Southern California Edison Company;
                                                  (Pub. L. 92–463), as amended, notice is                   Music (review of applications): This                 San Onofre Nuclear Generating
                                                  hereby given that 20 meetings of the                    meeting will be closed.                                Station, Units 1, 2, and 3, and
                                                  Arts Advisory Panel to the National                       Dates: July 16, 2015; 3:00 p.m. to 5:00              Independent Spent Fuel Storage
                                                  Council on the Arts will be held by                     p.m.                                                   Installation
                                                  teleconference from the National                          Presenting and Multidisciplinary
                                                                                                                                                                 AGENCY:  Nuclear Regulatory
                                                  Endowment for the Arts, Constitution                    Works (review of applications): This
                                                                                                                                                                 Commission.
                                                  Center, 400 7th St. SW., Washington, DC                 meeting will be closed.
                                                                                                            Dates: July 16, 2015; 12:00 p.m. to                  ACTION: Exemption; issuance.
                                                  20506 as follows (all meetings are
                                                  Eastern time and ending times are                       2:00 p.m.                                              SUMMARY:   The U.S. Nuclear Regulatory
                                                  approximate):                                             Museums (review of applications):                    Commission (NRC) is granting
                                                  DATES:
                                                                                                          This meeting will be closed.                           exemptions in response to a request
                                                    Visual Arts (review of applications):                   Dates: July 17, 2015; 11:30 a.m. to                  from Southern California Edison
                                                  This meeting will be closed.                            1:30 p.m.                                              Company (SCE or the licensee)
                                                    Dates: July 1, 2015; 11:30 a.m. to 1:30                 Museums (review of applications):                    regarding certain emergency planning
                                                  p.m.                                                    This meeting will be closed.                           (EP) requirements. The exemptions will
                                                    Visual Arts (review of applications):                   Dates: July 17, 2015; 2:30 p.m. to 4:30              eliminate the requirements to maintain
                                                  This meeting will be closed.                            p.m.                                                   formal offsite radiological emergency
                                                    Dates: July 1, 2015; 2:30 p.m. to 4:30                  Music (review of applications): This                 plans and reduce the scope of the onsite
                                                  p.m.                                                    meeting will be closed.                                EP activities at the San Onofre Nuclear
                                                    Theater and Musical Theater (review                     Dates: July 21, 2015; 3:00 p.m. to 5:00              Generating Station (SONGS), Units 1, 2,
                                                  of applications): This meeting will be                  p.m.                                                   and 3, and the Independent Spent Fuel
                                                  closed.                                                   Arts Education (review of                            Storage Installation (ISFSI), based on the
                                                    Dates: July 1, 2015; 12:00 p.m. to 2:00               applications): This meeting will be                    reduced risks of accidents that could
                                                  p.m.                                                    closed.                                                result in an offsite radiological release at
                                                    Theater and Musical Theater (review                     Dates: July 23, 2015; 1:45 p.m. to 3:30              the decommissioning nuclear power
                                                  of applications): This meeting will be                  p.m.                                                   reactors. Provisions would still exist for
                                                  closed.                                                   Arts Education (review of                            offsite agencies to take protective
                                                    Dates: July 1, 2015; 3:00 p.m. to 5:00                applications): This meeting will be                    actions, using a comprehensive
                                                  p.m.                                                    closed.                                                emergency management plan to protect
                                                    Theater and Musical Theater (review                     Dates: July 24, 2015; 1:45 p.m. to 3:30              public health and safety, if protective
                                                  of applications): This meeting will be                  p.m.                                                   actions were needed in the event of a
                                                  closed.                                                 FOR FURTHER INFORMATION CONTACT:                       very unlikely accident that could
                                                    Dates: July 9, 2015; 12:00 p.m. to 2:00               Further information with reference to                  challenge the safe storage of spent fuel.
                                                  p.m.                                                    these meetings can be obtained from Ms.                ADDRESSES: Please refer to Docket ID
                                                    Arts Education (review of                             Kathy Plowitz-Worden, Office of                        NRC–2015–0093 when contacting the
                                                                                                          Guidelines & Panel Operations, National
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                                                  applications): This meeting will be                                                                            NRC about the availability of
                                                  closed.                                                 Endowment for the Arts, Washington,                    information regarding this document.
                                                    Dates: July 9, 2015; 12:45 p.m. to 3:00               DC 20506; plowitzk@arts.gov, or call                   You may obtain publicly-available
                                                  p.m.                                                    202/682–5691.                                          information related to this document
                                                    Music (review of applications): This                  SUPPLEMENTARY INFORMATION: The                         using any of the following methods:
                                                  meeting will be closed.                                 closed portions of meetings are for the                   • Federal Rulemaking Web site: Go to
                                                    Dates: July 14, 2015; 12:00 p.m. to                   purpose of Panel review, discussion,                   http://www.regulations.gov and search
                                                  2:00 p.m.                                               evaluation, and recommendations on                     for Docket ID NRC–2015–0093. Address


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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                            33559

                                                  questions about NRC dockets to Carol                    authorized to possess and store                        planning standards in 10 CFR 50.47(b)
                                                  Gallagher; telephone: 301–415–3463;                     irradiated nuclear fuel. Irradiated fuel is            regarding onsite and offsite radiological
                                                  email: Carol.Gallagher@nrc.gov. For                     currently stored onsite at SONGS in                    emergency plans for nuclear power
                                                  technical questions, contact the                        spent fuel pools (SFPs) and in the ISFSI               reactors; from certain requirements in
                                                  individual listed in the FOR FURTHER                    dry casks.                                             10 CFR 50.47(c)(2) that require
                                                  INFORMATION CONTACT section of this                        During normal power reactor                         establishment of plume exposure and
                                                  document.                                               operations, the forced flow of water                   ingestion pathway emergency planning
                                                     • NRC’s Agencywide Documents                         through the reactor coolant system                     zones for nuclear power reactors; and
                                                  Access and Management System                            (RCS) removes heat generated by the                    from certain requirements in 10 CFR
                                                  (ADAMS): You may obtain publicly                        reactor. The RCS, operating at high                    part 50, appendix E, Section IV, which
                                                  available documents online in the                       temperatures and pressures, transfers                  establishes the elements that make up
                                                  ADAMS Public Documents collection at                    this heat through the steam generator                  the content of emergency plans. In
                                                  http://www.nrc.gov/reading-rm/                          tubes converting non-radioactive                       letters dated September 9, October 2,
                                                  adams.html. To begin the search, select                 feedwater to steam, which then flows to                October 7, October 27, November 3, and
                                                  ‘‘ADAMS Public Documents’’ and then                     the main turbine generator to produce                  December 15, 2014 (ADAMS Accession
                                                  select ‘‘Begin Web-based ADAMS                          electricity. Many of the accident                      Nos. ML14258A003, ML14280A265,
                                                  Search.’’ For problems with ADAMS,                      scenarios postulated in the updated                    ML14287A228, ML14303A257,
                                                  please contact the NRC’s Public                         safety analysis reports (USARs) for                    ML14309A195, and ML14351A078,
                                                  Document Room (PDR) reference staff at                  operating power reactors involve                       respectively), SCE provided responses
                                                  1–800–397–4209, 301–415–4737, or by                     failures or malfunctions of systems that               to the NRC staff’s requests for additional
                                                  email to pdr.resource@nrc.gov. The                      could affect the fuel in the reactor core,             information (RAI) concerning the
                                                  ADAMS accession number for each                         which in the most severe postulated                    proposed exemptions. In addition, SCE
                                                  document referenced (if that document                   accidents, would involve the release of                submitted a letter dated October 6, 2014,
                                                  is available in ADAMS) is provided the                  some fission products into the                         which contains security-related
                                                  first time that a document is referenced.               environment. With the permanent                        information, and is therefore withheld
                                                     • NRC’s PDR: You may examine and                     cessation of reactor operations at                     from public disclosure. The December
                                                  purchase copies of public documents at                  SONGS and the permanent removal of                     15, 2014, letter is a redacted, publicly-
                                                  the NRC’s PDR, Room O1–F21, One                         the fuel from the reactor vessels, such                available version of this letter.
                                                  White Flint North, 11555 Rockville                      accidents are no longer possible. The
                                                                                                          reactors, RCS, and supporting systems                     The information provided by SCE
                                                  Pike, Rockville, Maryland 20852.                                                                               included justifications for each
                                                                                                          are no longer in operation and have no
                                                  FOR FURTHER INFORMATION CONTACT:                                                                               exemption requested. The exemptions
                                                                                                          function related to the storage of the
                                                  Thomas Wengert, Office of Nuclear                                                                              requested by SCE would eliminate the
                                                                                                          irradiated fuel. Therefore, postulated
                                                  Reactor Regulation, U.S. Nuclear                                                                               requirements to maintain formal offsite
                                                                                                          accidents involving failure or
                                                  Regulatory Commission, Washington,                      malfunction of the reactors, RCS, or                   radiological emergency plans, reviewed
                                                  DC 20555–0001; telephone: 301–415–                      supporting systems are no longer                       by the Federal Emergency Management
                                                  4037; email: Thomas.Wengert@nrc.gov.                    applicable.                                            Agency (FEMA) under the requirements
                                                  SUPPLEMENTARY INFORMATION:                                 The EP requirements of 10 CFR 50.47,                of 44 CFR part 350, and reduce the
                                                                                                          ‘‘Emergency plans,’’ and appendix E to                 scope of onsite EP activities. The SCE
                                                  I. Background                                                                                                  stated that application of all of the
                                                                                                          10 CFR part 50, ‘‘Emergency Planning
                                                     The SONGS Units 1, 2, and 3, are                     and Preparedness for Production and                    standards and requirements in 10 CFR
                                                  decommissioning power reactors                          Utilization Facilities,’’ continue to apply            50.47(b), 10 CFR 50.47(c), and 10 CFR
                                                  located in San Diego County, California.                to nuclear power reactors that have                    part 50, appendix E is not needed for
                                                  The licensee, SCE, is the holder of                     permanently ceased operation and have                  adequate emergency response
                                                  SONGS Facility Operating License Nos.                   removed all fuel from the reactor vessel.              capability, based on the substantially
                                                  DPR–13, NPF–10, and NPF–15. The                         There are no explicit regulatory                       lower onsite and offsite radiological
                                                  licenses provide, among other things,                   provisions distinguishing EP                           consequences of accidents still possible
                                                  that the facility is subject to all rules,              requirements for a power reactor that is               at the permanently shutdown and
                                                  regulations, and orders of the NRC now                  permanently shut down and defueled                     defueled facility as compared to an
                                                  or hereafter in effect.                                 from those for a reactor that is                       operating facility. If offsite protective
                                                     SONGS Unit 1 was permanently shut                    authorized to operate. To reduce or                    actions were needed for a very unlikely
                                                  down in 1993. On June 12, 2013                          eliminate EP requirements that are no                  accident that could challenge the safe
                                                  (ADAMS Accession No. ML131640201),                      longer necessary due to the                            storage of spent fuel at SONGS,
                                                  the licensee provided the certifications                decommissioning status of the facility,                provisions exist for offsite agencies to
                                                  that SONGS Units 2 and 3, had                           SCE must obtain exemptions from those                  take protective actions using a
                                                  permanently ceased power operations.                    EP regulations. Only then can SCE                      comprehensive emergency management
                                                  On June 28 (ADAMS Accession No.                         modify the SONGS emergency plan to                     plan (CEMP) under the National
                                                  ML13183A391), and July 22, 2013                         reflect the reduced risk associated with               Preparedness System to protect the
                                                  (ADAMS Accession No. ML13204A304),                      the permanently shutdown and                           health and safety of the public. A CEMP
                                                  the licensee provided certifications that               defueled condition of SONGS .                          in this context, also referred to as an
                                                  all fuel had been permanently removed                                                                          emergency operations plan (EOP), is
                                                                                                          II. Request/Action
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                                                  from the SONGS Units 3 and 2, reactors,                                                                        addressed in FEMA’s Comprehensive
                                                  respectively. As a permanently                             By letter dated March 31, 2014                      Preparedness Guide 101, ‘‘Developing
                                                  shutdown and defueled facility, and                     (ADAMS Accession No. ML14092A332),                     and Maintaining Emergency Operations
                                                  pursuant to section 50.82(a)(2) of Title                ‘‘Emergency Planning Exemption                         Plans.’’ Comprehensive Preparedness
                                                  10 of the Code of Federal Regulations                   Request,’’ SCE requested exemptions                    Guide 101 is the foundation for State,
                                                  (10 CFR), SCE is no longer authorized to                from certain EP requirements of 10 CFR                 territorial, Tribal, and local EP in the
                                                  operate the reactors or emplace fuel into               part 50 for SONGS. More specifically,                  United States. It promotes a common
                                                  the reactor vessels, but is still                       SCE requested exemptions from certain                  understanding of the fundamentals of


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                                                  33560                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                  risk-informed planning and decision-                    28, 2001 (ADAMS Accession No.                          staff’s recommendation to grant the
                                                  making and helps planners at all levels                 ML010430066), confirmed that for                       exemptions in the staff requirements
                                                  of government in their efforts to develop               permanently shutdown and defueled                      memorandum to SECY–14–0144, dated
                                                  and maintain viable, all-hazards, all-                  power reactors bounded by the                          March 2, 2015 (ADAMS Accession No.
                                                  threats emergency plans. An EOP is                      assumptions and conditions in the                      ML15061A521). Descriptions of the
                                                  flexible enough for use in all                          reports, the risk of offsite radiological              specific exemptions requested by SCE
                                                  emergencies. It describes how people                    release is significantly less than that for            and the NRC staff’s basis for granting
                                                  and property will be protected; details                 an operating power reactor.                            each exemption are provided in SECY–
                                                  who is responsible for carrying out                        In the past, EP exemptions similar to               14–0144 and summarized in a table at
                                                  specific actions; identifies the                        those requested by SCE, have been                      the end of this document. The staff’s
                                                  personnel, equipment, facilities,                       granted to licensees of permanently                    detailed review and technical basis for
                                                  supplies and other resources available;                 shutdown and defueled power reactors.                  the approval of the specific EP
                                                  and outlines how all actions will be                    However, the exemptions did not                        exemptions, requested by SCE, are
                                                  coordinated. A CEMP is often referred to                relieve the licensees of all EP                        provided in the NRC staff’s safety
                                                  as a synonym for ‘‘all-hazards                          requirements. Rather, the exemptions                   evaluation dated June 4, 2015 (ADAMS
                                                  planning.’’                                             allowed the licensees to modify their                  Accession No. ML15082A204).
                                                                                                          emergency plans commensurate with
                                                  III. Discussion                                         the credible site-specific risks that were             A. Authorized by Law
                                                     In accordance with 10 CFR 50.12,                     consistent with a permanently                             The licensee has proposed
                                                  ‘‘Specific exemptions,’’ the Commission                 shutdown and defueled status.                          exemptions from certain EP
                                                  may, upon application by any interested                 Specifically, for previous permanently                 requirements in 10 CFR 50.47(b), 10
                                                  person or upon its own initiative, grant                shutdown and defueled power reactors,                  CFR 50.47(c)(2), and 10 CFR part 50,
                                                  exemptions from the requirements of 10                  the basis for the NRC staff’s approval of              appendix E, Section IV, which would
                                                  CFR part 50 when: (1) The exemptions                    the exemptions from certain EP                         allow SCE to revise the SONGS
                                                  are authorized by law, will not present                 requirements was based on the                          Emergency Plan to reflect the
                                                  an undue risk to public health or safety,               licensee’s demonstration that: (1) The                 permanently shutdown and defueled
                                                  and are consistent with the common                      radiological consequences of design-                   condition of the station. As stated
                                                  defense and security; and (2) any of the                basis accidents would not exceed the                   above, in accordance with 10 CFR 50.12,
                                                  special circumstances listed in 10 CFR                  limits of the U.S. Environmental                       the Commission may, upon application
                                                  50.12(a)(2) are present. These special                  Protection Agency’s (EPA) Protective                   by any interested person or upon its
                                                  circumstances include, among other                      Action Guidelines (PAGs) at the                        own initiative, grant exemptions from
                                                  things, that the application of the                     exclusion area boundary, and (2) in the                the requirements of 10 CFR part 50. The
                                                  regulation in the particular                            unlikely event of a beyond-design-basis                NRC staff has determined that granting
                                                  circumstances would not serve the                       accident resulting in a loss of all modes              of the licensee’s proposed exemptions
                                                  underlying purpose of the rule or is not                of heat transfer from the fuel stored in               will not result in a violation of the
                                                  necessary to achieve the underlying                     the SFP, there is sufficient time to                   Atomic Energy Act of 1954, as amended,
                                                  purpose of the rule.                                    initiate appropriate mitigating actions,               or the NRC’s regulations. Therefore, the
                                                     As noted previously, the current EP                  and if needed, for offsite authorities to              exemptions are authorized by law.
                                                  regulations contained in 10 CFR                         implement offsite protective actions
                                                  50.47(b) and appendix E to 10 CFR part                                                                         B. No Undue Risk to Public Health and
                                                                                                          using a CEMP approach to protect the                   Safety
                                                  50 apply to both operating and                          health and safety of the public. Based on
                                                  shutdown power reactors. The NRC has                    precedent exemptions, the site-specific                   As stated previously, SCE provided
                                                  consistently acknowledged that the risk                 analysis should show that there is                     analyses that show the radiological
                                                  of an offsite radiological release at a                 sufficient time following a loss of SFP                consequences of design-basis accidents
                                                  power reactor that has permanently                      coolant inventory until the onset of fuel              will not exceed the limits of the EPA
                                                  ceased operations and removed fuel                      damage to implement onsite mitigation                  PAGs at the exclusion area boundary.
                                                  from the reactor vessel is significantly                of the loss of SFP coolant inventory and               Therefore, formal offsite radiological
                                                  lower, and the types of possible                        if necessary, to implement offsite                     emergency plans required under 10 CFR
                                                  accidents are significantly fewer, than at              protective actions. To meet this                       part 50 are no longer needed for
                                                  an operating power reactor. However,                    criterion, the staff accepted in precedent             protection of the public beyond the
                                                  current EP regulations do not recognize                 exemptions that the time should exceed                 exclusion area boundary, based on the
                                                  that once a power reactor permanently                   10 hours from the loss of coolant until                radiological consequences of design-
                                                  ceases operation, the risk of a large                   the fuel temperature reaches 900                       basis accidents still possible at SONGS.
                                                  radiological release from a credible                    degrees Celsius (°C), assuming no air                     Although very unlikely, there is one
                                                  emergency accident scenario is reduced.                 cooling.                                               postulated beyond-design-basis accident
                                                  The reduced risk is largely the result of                  The NRC staff reviewed the licensee’s               that might result in significant offsite
                                                  the low frequency of credible events                    justification for the requested                        radiological releases. However, NUREG–
                                                  that could challenge the SFP structure,                 exemptions against the criteria in 10                  1738 confirms that the risk of beyond-
                                                  and the reduced decay heat and reduced                  CFR 50.12(a) and determined, as                        design-basis accidents is greatly reduced
                                                  short-lived radionuclide inventory due                  described below, that the criteria in 10               at permanently shutdown and defueled
                                                  to decay. The NRC’s NUREG/CR–6451,                      CFR 50.12(a) are met, and that the                     reactors. The NRC staff’s analyses in
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                                                  ‘‘A Safety and Regulatory Assessment of                 exemptions should be granted. An                       NUREG–1738 concludes that the event
                                                  Generic BWR and PWR Permanently                         assessment of the SCE EP exemptions is                 sequences important to risk at
                                                  Shutdown Nuclear Power Plants,’’ dated                  described in SECY–14–0144, ‘‘Request                   permanently shutdown and defueled
                                                  August 31, 1997 (ADAMS Accession                        by Southern California Edison for                      power reactors are limited to large
                                                  No. ML082260098) and NUREG–1738,                        Exemptions from Certain Emergency                      earthquakes and cask drop events. For
                                                  ‘‘Technical Study of Spent Fuel Pool                    Planning,’’ dated December 17, 2014                    EP assessments, this is an important
                                                  Accident Risk at Decommissioning                        (ADAMS Accession No. ML14251A554).                     difference relative to operating power
                                                  Nuclear Power Plants,’’ dated February                  The Commission approved the NRC                        reactors, where typically a large number


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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                            33561

                                                  of different sequences make significant                 considering the risks associated with                  beyond-design-basis accident shows
                                                  contributions to risk. Per NUREG–1738,                  operation of a power reactor at its                    that as of October 12, 2014, more than
                                                  relaxation of offsite EP requirements,                  licensed full-power level. These risks                 17 hours would be available between
                                                  under 10 CFR part 50, a few months                      include the potential for a reactor                    the time the fuel is initially uncovered
                                                  after shutdown resulted in only a small                 accident with offsite radiological dose                (at which time adiabatic heatup is
                                                  change in risk. The report further                      consequences.                                          conservatively assumed to begin), until
                                                  concludes that the change in risk due to                   As discussed previously in Section III              the fuel cladding reaches a temperature
                                                  relaxation of offsite EP requirements is                of this document, because SONGS Units                  of 1652 degrees Fahrenheit (°F) (900 ßC),
                                                  small because the overall risk is low,                  1, 2, and 3 are permanently shutdown                   which is the temperature associated
                                                  and because even under current EP                       and defueled, there is no longer a risk                with rapid cladding oxidation and the
                                                  requirements for operating power                        of offsite radiological release from a                 potential for a significant radiological
                                                  reactors, EP was judged to have                         design-basis accident and the risk of a                release. This analysis conservatively
                                                  marginal impact on evacuation                           significant offsite radiological release               does not include the period of time from
                                                  effectiveness in the severe earthquakes                 from a beyond-design-basis accident is                 the initiating event causing a loss of SFP
                                                  that dominate SFP risk. All other                       greatly reduced when compared to the                   water inventory until all cooling means
                                                  sequences including cask drops (for                     risk at an operating power reactor. In a               are lost.
                                                  which offsite radiological emergency                    letter dated March 31, 2014 (ADAMS                        The NRC staff has verified SCE’s
                                                  plans are expected to be more effective)                Accession No. ML14092A332), the                        analyses and its calculations. The
                                                  are too low in likelihood to have a                     licensee provided analyses to                          analyses provide reasonable assurance
                                                  significant impact on risk.                             demonstrate that the radiological                      that in granting the requested
                                                     Therefore, granting exemptions to                    consequences of design-basis accidents                 exemptions to SCE, there is no design-
                                                  eliminate the requirements of 10 CFR                    at SONGS will not exceed the limits of                 basis accident that will result in an
                                                  part 50 to maintain offsite radiological                the EPA PAGs at the exclusion area                     offsite radiological release exceeding the
                                                  emergency plans and to reduce the                       boundary. The NRC staff has confirmed                  EPA PAGs at the exclusion area
                                                  scope of onsite EP activities will not                  the reduced risks at SONGS by                          boundary. In the unlikely event of a
                                                  present an undue risk to the public                     comparing the generic risk assumptions                 beyond-design-basis accident affecting
                                                  health and safety.                                      in the analyses in NUREG–1738 to site-                 the SFP that results in a complete loss
                                                                                                          specific conditions at SONGS; and has                  of heat removal via all modes of heat
                                                  C. Consistent With the Common Defense
                                                                                                          determined that the risk values in                     transfer, there will be well over 10 hours
                                                  and Security
                                                                                                          NUREG–1738 bound the risks presented                   available before an offsite release might
                                                    The requested exemptions by SCE                       by SONGS. In addition, the significant                 occur and, therefore, at least 10 hours to
                                                  only involve EP requirements under 10                   decay of short-lived radionuclides that                initiate appropriate mitigating actions to
                                                  CFR part 50 and will allow SCE to                       has occurred since the January 2012                    restore a means of heat removal to the
                                                  revise the SONGS Emergency Plan to                      shutdown provides assurance in other                   spent fuel. If a radiological release were
                                                  reflect the permanently shutdown and                    ways. As indicated by the results of                   projected to occur under this unlikely
                                                  defueled condition of the facility.                     research conducted for NUREG–1738                      scenario, a minimum of 10 hours is
                                                  Physical security measures at SONGS                     and more recently, for NUREG–2161,                     considered sufficient time for offsite
                                                  are not affected by the requested EP                    ‘‘Consequence Study of a Beyond-                       authorities to implement protective
                                                  exemptions. The discontinuation of                      Design-Basis Earthquake Affecting the                  actions using a CEMP approach to
                                                  formal offsite radiological emergency                   Spent Fuel Pool for a U.S. Mark I                      protect the health and safety of the
                                                  plans and the reduction in scope of the                 Boiling Water Reactor’’ (ADAMS                         public.
                                                  onsite EP activities at SONGS will not                  Accession No. ML15255A365), while                         Exemptions from the offsite EP
                                                  adversely affect SCE’s ability to                       other consequences can be extensive,                   requirements in 10 CFR part 50 have
                                                  physically secure the site or protect                   accidents from SFPs with significant                   previously been approved by the NRC
                                                  special nuclear material. Therefore, the                decay time have little potential to cause              when the site-specific analyses show
                                                  proposed exemptions are consistent                      offsite early fatalities, even if the formal           that at least 10 hours are available
                                                  with the common defense and security.                   offsite radiological EP requirements                   following a loss of SFP coolant
                                                                                                          were relaxed. The SCE’s analysis of a                  inventory accident with no air cooling
                                                  D. Special Circumstances
                                                                                                          beyond-design-basis accident involving                 (or other methods of removing decay
                                                    Special circumstances, in accordance                  a complete loss of SFP water inventory,                heat) until cladding of the hottest fuel
                                                  with 10 CFR 50.12(a)(2)(ii), are present                where adequate fuel handling building                  assembly reaches the zirconium rapid
                                                  whenever application of the regulation                  air exchange with the environment and                  oxidation temperature. The NRC staff
                                                  in the particular circumstances is not                  air cooling of the stored fuel is available,           concluded in its previously granted
                                                  necessary to achieve the underlying                     shows that by August 31, 2014, air                     exemptions, as it does with the SCE-
                                                  purpose of the rule. The underlying                     cooling of the spent fuel assemblies was               requested EP exemptions, that if a
                                                  purposes of 10 CFR 50.47(b), 10 CFR                     sufficient to keep the fuel within a safe              minimum of 10 hours are available to
                                                  50.47(c)(2), and 10 CFR part 50,                        temperature range, indefinitely, without               initiate mitigative actions consistent
                                                  appendix E, Section IV, are to provide                  fuel cladding damage or offsite                        with plant conditions, or if needed, for
                                                  reasonable assurance that adequate                      radiological release.                                  offsite authorities to implement
                                                  protective measures can and will be                        The only analyzed beyond-design-                    protective actions using a CEMP
                                                  taken in the event of a radiological                    basis accident scenario that progresses                approach, then formal offsite
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                                                  emergency, to establish plume exposure                  to a condition where a significant offsite             radiological emergency plans, required
                                                  and ingestion pathway emergency                         release might occur, involves the very                 under 10 CFR part 50, are not necessary
                                                  planning zones for nuclear power                        unlikely event where the SFP drains in                 at permanently shutdown and defueled
                                                  plants, and to ensure that licensees                    such a way that all modes of cooling or                power reactors.
                                                  maintain effective offsite and onsite                   heat transfer are assumed to be                           Additionally, in its letters to the NRC
                                                  radiological emergency plans. The                       unavailable, which is postulated to                    dated October 6, 2014, and December
                                                  standards and requirements in these                     result in an adiabatic heatup of the                   15, 2014, SCE described the SFP
                                                  regulations were developed by                           spent fuel. The SCE’s analysis of this                 makeup strategies that could be used in


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                                                  33562                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                  the event of a catastrophic loss of SFP                 exemptions granted by this action will                 IV. Conclusions
                                                  inventory. The multiple strategies for                  maintain an acceptable level of
                                                                                                                                                                    Accordingly, the Commission has
                                                  providing makeup water to the SFP                       emergency preparedness at SONGS and                    determined, pursuant to 10 CFR
                                                  include: using existing plant systems for               provide reasonable assurance that                      50.12(a), that SCE’s request for
                                                  inventory makeup; an internal strategy                  adequate offsite protective measures, if
                                                  that relies on installed fire water pumps                                                                      exemptions from certain EP
                                                                                                          needed, can and will be taken by State                 requirements in 10 CFR 50.47(b), 10
                                                  and service water or fire water storage                 and local government agencies using a
                                                  tanks; or an external strategy that uses                                                                       CFR 50.47(c)(2), and 10 CFR part 50,
                                                                                                          CEMP approach, in the unlikely event of                appendix E, Section IV, and as
                                                  portable pumps to initiate makeup flow                  a radiological emergency at the SONGS
                                                  into the SFPs through a seismic                                                                                summarized in the table at the end of
                                                                                                          facility. Since the underlying purposes                this document, are authorized by law,
                                                  standpipe and standard fire hoses
                                                                                                          of the rules, as exempted, would                       will not present an undue risk to the
                                                  routed to the SFPs or to a spray nozzle.
                                                  These strategies will continue to be                    continue to be achieved, even with the                 public health and safety, and are
                                                  required as a license condition.                        elimination of the requirements under                  consistent with the common defense
                                                  Considering the very low probability of                 10 CFR part 50 to maintain formal                      and security. Also, special
                                                  beyond-design-basis accidents affecting                 offsite radiological emergency plans and               circumstances are present. Therefore,
                                                  the SFP, these diverse strategies provide               the reduction in the scope of the onsite               the Commission hereby grants SCE
                                                  defense-in-depth and time to provide                    EP activities at SONGS, the special                    exemptions from certain EP
                                                  additional makeup or spray water to the                 circumstances required by 10 CFR                       requirements of 10 CFR 50.47(b), 10
                                                  SFP before the onset of any postulated                  50.12(a)(2)(ii) exist.                                 CFR 50.47(c)(2), and 10 CFR part 50,
                                                  offsite radiological release.                                                                                  appendix E, Section IV, as discussed
                                                                                                          E. Environmental Considerations                        and evaluated in detail in the staff’s
                                                     For all the reasons stated above, the
                                                  NRC staff concludes that application of                                                                        safety evaluation dated June 4, 2015.
                                                                                                            In accordance with 10 CFR 51.31(a),
                                                  certain requirements in 10 CFR 50.47(b),                                                                       The exemptions are effective as of June
                                                                                                          the Commission has determined that the                 4, 2015.
                                                  10 CFR 50.47(c)(2), and 10 CFR part 50,                 granting of these exemptions will not
                                                  appendix E, as summarized in the table                  have a significant effect on the quality                 Dated at Rockville, Maryland, this 4th day
                                                  at the end of this document, is not                                                                            of June, 2015.
                                                                                                          of the human environment, as discussed
                                                  necessary to achieve the underlying                     in the NRC staff’s Environmental                         For the Nuclear Regulatory Commission.
                                                  purpose of these regulations and,                                                                              A. Louise Lund,
                                                                                                          Assessment and Finding of No
                                                  therefore, satisfies the special                                                                               Acting Director, Division of Operating Reactor
                                                                                                          Significant Impact published on April
                                                  circumstances in 10 CFR 50.12(a)(2)(ii).                                                                       Licensing, Office of Nuclear Reactor
                                                  The staff further concludes that the                    17, 2015 (80 FR 21271).
                                                                                                                                                                 Regulation.

                                                                                 TABLE OF EXEMPTIONS GRANTED TO SOUTHERN CALIFORNIA EDISON (SCE)
                                                                                  10 CFR 50.47                                                               NRC staff basis for exemption

                                                  10 CFR 50.47(b). The NRC is granting exemption from portions of the                  In the Statement of Considerations (SOC) for the final rule for emer-
                                                    rule language that would otherwise require offsite emergency re-                     gency planning (EP) requirements for independent spent fuel storage
                                                    sponse plans.                                                                        installations (ISFSIs) and for monitor retrievable storage (MRS) facili-
                                                                                                                                         ties (60 FR 32430; June 22, 1995), the Commission responded to
                                                                                                                                         comments concerning offsite EP for ISFSIs or an MRS and con-
                                                                                                                                         cluded that, ‘‘the offsite consequences of potential accidents at an
                                                                                                                                         ISFSI or an MRS would not warrant establishing Emergency Plan-
                                                                                                                                         ning Zones.’’
                                                                                                                                       In a nuclear power reactor’s permanently defueled state, the accident
                                                                                                                                         risks are more similar to an ISFSI or an MRS than an operating nu-
                                                                                                                                         clear power plant. The EP program would be similar to that required
                                                                                                                                         for an ISFSI under Section 72.32(a) of 10 CFR when fuel stored in
                                                                                                                                         the spent fuel pool (SFP) has more than 5 years of decay time and
                                                                                                                                         would not change substantially when all the fuel is transferred from
                                                                                                                                         the SFP to an onsite ISFSI. Exemptions from offsite EP require-
                                                                                                                                         ments have previously been approved when the site-specific anal-
                                                                                                                                         yses show that at least 10 hours is available from a partial drain-
                                                                                                                                         down event where cooling of the spent fuel is not effective until the
                                                                                                                                         hottest fuel assembly reaches the zirconium ignition temperature of
                                                                                                                                         900 degrees Celsius (°C). The technical basis that underlies the ap-
                                                                                                                                         proval of the exemption request is based partly on the analysis of a
                                                                                                                                         time period in which spent fuel stored in the SFP is unlikely to reach
                                                                                                                                         the zirconium ignition temperature in less than 10 hours. This time
                                                                                                                                         period is based on a heat-up calculation which uses several simpli-
                                                                                                                                         fying assumptions. Some of these assumptions are conservative (ad-
                                                                                                                                         iabatic conditions), while others are non-conservative (no oxidation
                                                                                                                                         below 900 °C). Weighing the conservatisms and non-conservatisms,
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                                                                                                                                         the staff judges that this calculation reasonably represents conditions
                                                                                                                                         that may occur in the event of an SFP accident.
                                                                                                                                       The staff concluded that if 10 hours were available to initiate mitigative
                                                                                                                                         actions, or if needed, offsite protective actions using a comprehen-
                                                                                                                                         sive emergency management plan (CEMP), formal offsite radio-
                                                                                                                                         logical emergency plans are not necessary for these permanently
                                                                                                                                         defueled nuclear power reactor licensees.




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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                                 33563

                                                                        TABLE OF EXEMPTIONS GRANTED TO SOUTHERN CALIFORNIA EDISON (SCE)—Continued
                                                                                  10 CFR 50.47                                                               NRC staff basis for exemption

                                                                                                                                       As supported by the licensee’s SFP analysis, the staff believes an ex-
                                                                                                                                         emption from the requirements for formal offsite radiological emer-
                                                                                                                                         gency plans is justified for a zirconium fire scenario considering the
                                                                                                                                         low likelihood of this event together with time available to take miti-
                                                                                                                                         gative or protective actions between the initiating event and before
                                                                                                                                         the onset of a postulated fire.
                                                                                                                                       The SCE analysis has demonstrated that the radiological con-
                                                                                                                                         sequences of design-basis-accidents (DBAs) will not exceed the lim-
                                                                                                                                         its of the U.S. Environmental Protection Agency’s (EPA’s) Protective
                                                                                                                                         Action Guides (PAGs) at the exclusion area boundary. These anal-
                                                                                                                                         yses also show that as of October 12, 2014, in the unlikely event of
                                                                                                                                         a beyond DBA where the hottest fuel assembly adiabatic heat-up oc-
                                                                                                                                         curs, 17.8 hours is available to take mitigative or, if needed, offsite
                                                                                                                                         protective actions using a CEMP from the time the fuel is uncovered
                                                                                                                                         until it reaches the auto-ignition temperature of 900 °C.
                                                                                                                                       SCE furnished information to supplement its exemption request con-
                                                                                                                                         cerning its SFP inventory makeup strategies. The multiple strategies
                                                                                                                                         for providing makeup to the SFP include: using existing plant sys-
                                                                                                                                         tems for inventory makeup; an internal strategy that relies on in-
                                                                                                                                         stalled fire water pumps (two motor-driven and one diesel-driven)
                                                                                                                                         and service and firewater storage tanks; or an external strategy that
                                                                                                                                         uses portable pumps to initiate make-up flow into the pools through
                                                                                                                                         a seismic standpipe and standard fire water hoses routed either over
                                                                                                                                         the pools’ edges or to spray nozzles. SCE further provides that des-
                                                                                                                                         ignated on-shift staff is trained to implement such strategies and they
                                                                                                                                         have plans in place to mitigate the consequences of an event involv-
                                                                                                                                         ing a catastrophic loss-of-water inventory concurrently from both San
                                                                                                                                         Onofre Nuclear Generating Station (SONGS), Units 2 and 3 SFPs. It
                                                                                                                                         is estimated that it would take approximately 55 minutes to deliver
                                                                                                                                         flow to one pool, with an additional 35 minutes to provide water to
                                                                                                                                         the second pool without having to relocate the trailer-mounted pump.
                                                                                                                                         Relocation of the trailer-mounted pump, if required, would take ap-
                                                                                                                                         proximately 30 additional minutes. The SCE will maintain its Miti-
                                                                                                                                         gating Strategies License Conditions for Units 2 and 3 (2.C(26) for
                                                                                                                                         Unit 2 and 2.C(27) for Unit 3). These license conditions require
                                                                                                                                         SONGS to maintain its SFP inventory makeup strategies as dis-
                                                                                                                                         cussed above.
                                                  10 CFR 50.47(b)(1). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b).
                                                    the rule language that would otherwise require the need for Emer-
                                                    gency Planning Zones (EPZs).
                                                  10 CFR 50.47(b)(3). The NRC is granting exemption from portions of                   Decommissioning power reactors present a low likelihood of any cred-
                                                    the rule language that would otherwise require the need for an emer-                 ible accident resulting in a radiological release together with the time
                                                    gency operations facility (EOF).                                                     available to take mitigative or, if needed, offsite protective actions
                                                                                                                                         using a CEMP between the initiating event and before the onset of a
                                                                                                                                         postulated fire. As such, an EOF would not be required. The ‘‘nu-
                                                                                                                                         clear island,’’ control room, or other onsite location can provide for
                                                                                                                                         the communication and coordination with offsite organizations for the
                                                                                                                                         level of support required.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR 50.47(b)(4). The NRC is granting exemption from portions of                   Decommissioning power reactors present a low likelihood of any cred-
                                                    the rule language that would otherwise require reference to formal                   ible accident resulting in a radiological release together with the time
                                                    offsite radiological emergency response plans.                                       available to take mitigative or, if needed, offsite protective actions
                                                                                                                                         using a CEMP between the initiating event and before the onset of a
                                                                                                                                         postulated fire. As such, formal offsite radiological emergency re-
                                                                                                                                         sponse plans are not required.
                                                                                                                                       The Nuclear Energy Institute (NEI) document NEI 99–01, ‘‘Develop-
                                                                                                                                         ment of Emergency Action Levels for Non-Passive Reactors’’ (Revi-
                                                                                                                                         sion 6), was found to be an acceptable method for development of
                                                                                                                                         emergency action levels (EALs) and was endorsed by the NRC in a
                                                                                                                                         letter dated March 28, 2013 (ADAMS Accession No. ML12346A463).
                                                                                                                                         NEI 99–01 provides EALs for non-passive operating nuclear power
                                                                                                                                         reactors, permanently defueled reactors and ISFSIs.
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                                                                                                                                       The SCE requested a license amendment to revise its EAL scheme to
                                                                                                                                         NEI 99–01, Revision 6 in a letter dated March 31, 2014, ‘‘Perma-
                                                                                                                                         nently Defueled Emergency Action Level Scheme, San Onofre Nu-
                                                                                                                                         clear Generating Station, Units 1, 2, and 3, Respectively, and Inde-
                                                                                                                                         pendent Spent Fuel Storage Installation’’ (ADAMS Accession No.
                                                                                                                                         ML14092A249).
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).




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                                                  33564                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                                        TABLE OF EXEMPTIONS GRANTED TO SOUTHERN CALIFORNIA EDISON (SCE)—Continued
                                                                                  10 CFR 50.47                                                               NRC staff basis for exemption

                                                  10 CFR 50.47(b)(5). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b).
                                                    the rule language that would otherwise require early notification of
                                                    the public and a means to provide instructions to the public within
                                                    the plume exposure pathway EPZ.
                                                  10 CFR 50.47(b)(6). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b).
                                                    the rule language that would otherwise require prompt communica-
                                                    tions with the public.
                                                  10 CFR 50.47(b)(7). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b).
                                                    the rule language that would otherwise require information to be
                                                    made available to the public on a periodic basis about how they will
                                                    be notified and what their initial protective actions should be.
                                                  10 CFR 50.47(b)(9). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b).
                                                    the rule language that would otherwise require the capability for
                                                    monitoring offsite consequences.
                                                  10 CFR 50.47(b)(10). The NRC is granting exemption from portions of                  In the unlikely event of an SFP accident, the iodine isotopes, which
                                                    the rule language that would reduce the range of protective actions                  contribute to an offsite dose from an operating reactor accident, are
                                                    developed for emergency workers and the public. Consideration of                     not present, so potassium iodide distribution would no longer serve
                                                    evacuation, sheltering, or the use of potassium iodide will no longer                as an effective or necessary supplemental protective action.
                                                    be necessary. Evacuation time estimates (ETEs) will no longer need                 In the SOC for the final rule for EP requirements for ISFSIs and for
                                                    to be developed or updated. Protective actions for the ingestion ex-                 MRS facilities (60 FR 32430), the Commission responded to com-
                                                    posure pathway EPZ will not need to be developed.                                    ments concerning site-specific EP that includes evacuation of sur-
                                                                                                                                         rounding population for an ISFSI not at a reactor site, and con-
                                                                                                                                         cluded, ‘‘The Commission does not agree that as a general matter
                                                                                                                                         emergency plans for an ISFSI must include evacuation planning.’’
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR 50.47(c)(2). The NRC is granting exemption from portions of                   Refer to basis for 10 CFR 50.47(b)(10).
                                                    the rule language that would otherwise require the establishment of a
                                                    10-mile radius plume exposure pathway EPZ and a 50-mile radius
                                                    ingestion pathway EPZ..


                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                  10 CFR Part 50, Appendix E, Section IV.1. The NRC is granting ex-                    The EP rule published in the FEDERAL REGISTER (76 FR 72560; No-
                                                    emption from portions of the rule language that would otherwise re-                  vember 23, 2011) amended certain requirements in 10 CFR Part 50.
                                                    quire onsite protective actions during hostile action.                             Among the changes, the definition of ‘‘hostile action’’ was added as an
                                                                                                                                         act directed toward a nuclear power plant or its personnel. This defi-
                                                                                                                                         nition is based on the definition of ‘‘hostile action’’ provided in NRC
                                                                                                                                         Bulletin 2005–02, ‘‘Emergency Preparedness and Response Actions
                                                                                                                                         for Security-Based Events,’’ dated July 18, 2005 (ADAMS Accession
                                                                                                                                         No. ML051740058). NRC Bulletin 2005–02 is not applicable to nu-
                                                                                                                                         clear power reactors that have permanently ceased operations and
                                                                                                                                         have certified that fuel has been removed from the reactor vessel.
                                                                                                                                         SCE certified that it had permanently ceased operations at SONGS
                                                                                                                                         Units 2 and 3 and that all fuel at those units had been removed from
                                                                                                                                         the reactor vessels. Therefore, the enhancements for hostile actions
                                                                                                                                         required by the 2011 EP Final Rule are not necessary for SONGS in
                                                                                                                                         its permanently shut down and defueled status.
                                                                                                                                       Additionally, the NRC excluded non-power reactors from the definition
                                                                                                                                         of ‘‘hostile action’’ at the time of the 2011 rulemaking because, as
                                                                                                                                         defined in 10 CFR 50.2, a non-power reactor is not considered a nu-
                                                                                                                                         clear power reactor and a regulatory basis had not been developed
                                                                                                                                         to support the inclusion of non-power reactors in the definition of
                                                                                                                                         ‘‘hostile action.’’ Similarly, a decommissioning power reactor or ISFSI
                                                                                                                                         is not a ‘‘nuclear reactor’’ as defined in the NRC’s regulations. Like a
                                                                                                                                         non-power reactor, a decommissioning power reactor also has a
                                                                                                                                         lower likelihood of a credible accident resulting in radiological re-
                                                                                                                                         leases requiring offsite protective measures than does an operating
                                                                                                                                         reactor.
                                                                                                                                       Although this analysis provides a justification for exempting SONGS
                                                                                                                                         from ‘‘hostile action’’ related requirements, some EP requirements for
                                                                                                                                         security-based events are maintained. The classification of security-
                                                                                                                                         based events, notification of offsite authorities and coordination with
                                                                                                                                         offsite agencies under a CEMP concept are still required.
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                                                  10 CFR Part 50, Appendix E, Section IV.2. The NRC is granting ex-                    Refer to basis for 10 CFR 50.47(b)(10).
                                                    emption from portions of the rule language concerning the evacu-
                                                    ation time analyses within the plume exposure pathway EPZ for the
                                                    licensee’s initial application.
                                                  10 CFR Part 50, Appendix E, Section IV.3. The NRC is granting ex-                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire use of NRC-approved ETEs and updates to State and local
                                                    governments when developing protective action strategies.



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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                                  33565

                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                  10 CFR Part 50, Appendix E, Section IV.4. The NRC is granting ex-                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire licensees to update ETEs based on the most recent census
                                                    data and submit the ETE analysis to the NRC prior to providing it to
                                                    State and local governments for developing protective action.
                                                  10 CFR Part 50, Appendix E, Section IV.5. The NRC is granting ex-                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire licensees to estimate the EPZ permanent resident population
                                                    changes once a year between decennial censuses.
                                                  10 CFR Part 50, Appendix E, Section IV.6. The NRC is granting ex-                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire the licensee to submit an updated ETE analysis to the NRC
                                                    based on changes in the resident population that result in exceeding
                                                    specific evacuation time increase criteria.
                                                  10 CFR Part 50, Appendix E, Section IV.A.1. The NRC is granting ex-                  Based on the permanently shut down and defueled status of the reac-
                                                    emption from the word ‘‘operating’’ in the requirement to describe the               tor, a decommissioning reactor is not authorized to operate under 10
                                                    normal plant organization.                                                           CFR 50.82(a). Because the licensee cannot operate the reactors, the
                                                                                                                                         licensee does not have a ‘‘plant operating organization.’’
                                                  10 CFR Part 50, Appendix E, Section IV.A.3. The NRC is granting ex-                  The number of staff at decommissioning sites is generally small but is
                                                    emption from the requirement to describe the licensee’s head-                        commensurate with the need to safely store spent fuel at the facility
                                                    quarters personnel sent to the site to augment the onsite emergency                  in a manner that is protective of public health and safety. Decommis-
                                                    response organization.                                                               sioning sites typically have a level of emergency response that does
                                                                                                                                         not require response by the licensee’s headquarters personnel.
                                                  10 CFR Part 50, Appendix E, Section IV.A.4. The NRC is granting ex-                  Although the likelihood of events that would result in doses in excess
                                                    emption from portions of the rule language that would otherwise re-                  of the EPA PAGs to the public beyond the exclusion area boundary
                                                    quire the licensee to identify a position and function within its organi-            based on the permanently shut down and defueled status of the re-
                                                    zation, which will carry the responsibility for making offsite dose pro-             actor is extremely low, the licensee is still required to determine if a
                                                    jections.                                                                            radiological release is occurring. If a release is occurring, then the li-
                                                                                                                                         censee staff should promptly communicate that information to offsite
                                                                                                                                         authorities for their consideration. The offsite organizations are re-
                                                                                                                                         sponsible for deciding what, if any, protective actions should be
                                                                                                                                         taken based on a CEMP.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR Part 50, Appendix E, Section IV.A.5. The NRC is granting ex-                  SONGS has performed an on-shift staffing analysis, addressing SFP
                                                    emption from the requirement for the licensee to identify individuals                mitigating strategies, including review of collateral duties. The spe-
                                                    with special qualifications, both licensee employees and non-employ-                 cific event scenario utilized for the staffing analysis involves a cata-
                                                    ees, for coping with emergencies.                                                    strophic loss-of-water inventory in one SFP.
                                                                                                                                       In addition to the scenario described above, SONGS performed a sep-
                                                                                                                                         arate case study to validate that the minimum on-shift staff can per-
                                                                                                                                         form mitigation efforts in the event that the second SFP is also af-
                                                                                                                                         fected by a catastrophic loss-of-water inventory.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR Part 50, Appendix E, Section IV.A.7. The NRC is granting ex-                  Refer to basis for 10 CFR Part 50, Appendix E, Section IV.1.
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire a description of the assistance expected from State, local, and
                                                    Federal agencies for coping with a hostile action.
                                                  10 CFR Part 50, Appendix E, Section IV.A.8. The NRC is granting ex-                  Offsite emergency measures are limited to support provided by local
                                                    emption from the requirement to identify the State and local officials               police, fire departments, and ambulance and hospital services, as
                                                    for ordering protective actions and evacuations..                                    appropriate. Due to the low probability of DBAs or other credible
                                                                                                                                         events to exceed the EPA PAGs, protective actions such as evacu-
                                                                                                                                         ation should not be required, but could be implemented at the discre-
                                                                                                                                         tion of offsite authorities using a CEMP.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b)(10).
                                                  10 CFR Part 50, Appendix E, Section IV.A.9. The NRC is granting ex-                  The duties of the on-shift personnel at a decommissioning reactor facil-
                                                    emption from the requirement for the licensee to provide an analysis                 ity are not as complicated and diverse as those for an operating
                                                    demonstrating that on-shift personnel are not assigned responsibil-                  power reactor. Responsibilities should be well defined in the emer-
                                                    ities that would prevent performance of their assigned emergency                     gency plan and procedures, regularly tested through drills and exer-
                                                    plan functions.                                                                      cises audited and inspected by the licensee and the NRC.
                                                                                                                                       The staff considered the similarity between the staffing levels at a per-
                                                                                                                                         manently shut down and defueled reactor and staffing levels at an
                                                                                                                                         operating power reactor site. The minimal systems and equipment
                                                                                                                                         needed to maintain the spent nuclear fuel in the SFP or in a dry
                                                                                                                                         cask storage system in a safe condition require minimal personnel
                                                                                                                                         and is governed by Technical Specifications. In the EP final rule pub-
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                                                                                                                                         lished in the FEDERAL REGISTER (76 FR 72560; November 23, 2011),
                                                                                                                                         the NRC concluded that the staffing analysis requirement was not
                                                                                                                                         necessary for non-power reactor licensees due to the small staffing
                                                                                                                                         levels required to operate the facility.




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                                                  33566                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                                                                                                       The staff also examined the actions required to mitigate the very low
                                                                                                                                         probability beyond-design-basis events for the SFP. In a letter dated
                                                                                                                                         October 1, 2014, ‘‘Docket Nos. 50–361 and 50–362 Supplement 1 to
                                                                                                                                         Amendment Applications 266 and 251 Permanently Defueled Tech-
                                                                                                                                         nical Specifications San Onofre Nuclear Generating Station, Units 2
                                                                                                                                         and 3’’ (ADAMS Accession No. ML14280A264), SCE withdrew the
                                                                                                                                         proposed changes to the Mitigating Strategies License Condition for
                                                                                                                                         Units 2 and 3 (2.C(26) for Unit 2 and 2.C(27) for Unit 3). This license
                                                                                                                                         condition requires SONGS to maintain its SFP inventory makeup
                                                                                                                                         strategies as discussed above.
                                                                                                                                       SONGS has performed an on-shift staffing analysis, addressing SFP
                                                                                                                                         mitigating strategies, including review of collateral duties. The spe-
                                                                                                                                         cific event scenario utilized for the staffing analysis involves a cata-
                                                                                                                                         strophic loss-of-water inventory in one SFP.
                                                                                                                                       In addition to the scenario described above, SONGS performed a sep-
                                                                                                                                         arate case study to validate that the minimum on-shift staff can per-
                                                                                                                                         form mitigation efforts in the event that the second SFP is also af-
                                                                                                                                         fected by a catastrophic loss-of-water inventory.
                                                                                                                                       Also refer to basis for 10 CFR Part 50, Appendix E, Section IV.1.
                                                  10 CFR Part 50, Appendix E, Section IV.B.1. The NRC is granting ex-                  NEI 99–01 was found to be an acceptable method for development of
                                                    emption from portions of the rule language that would otherwise re-                  EALs. No offsite protective actions are anticipated to be necessary,
                                                    quire offsite EALs and offsite protective measures and associate off-                so classification above the alert level is no longer required, which is
                                                    site monitoring for the emergency conditions.                                        consistent with ISFSI facilities.
                                                  In addition, the NRC is granting exemption from portions of the rule                 As discussed previously, SCE requested a license amendment to re-
                                                    language that would otherwise require EALs based on hostile action.                  vise its EAL scheme to NEI 99–01, Revision 6 in a letter dated
                                                                                                                                         March 31, 2014, ‘‘Permanently Defueled Emergency Action Level
                                                                                                                                         Scheme, San Onofre Nuclear Generating Station, Units 1, 2, and 3,
                                                                                                                                         respectively, and Independent Spent Fuel Storage Installation’’
                                                                                                                                         (ADAMS Accession No. ML14092A249). Before SCE can amend its
                                                                                                                                         EAL scheme to reflect the risk commensurate with power reactors
                                                                                                                                         that have been permanently shut down and defueled, SCE needs an
                                                                                                                                         exemption from the requirement for the site area emergency and
                                                                                                                                         general emergency classifications.
                                                                                                                                       Also refer to basis for 10 CFR Part 50, Appendix E, Section IV.1.
                                                  10 CFR Part 50, Appendix E, Section IV.C.1. The NRC is granting ex-                  Containment parameters do not provide an indication of the conditions
                                                    emption from portions of the rule language that would otherwise re-                  at a defueled facility and emergency core cooling systems are no
                                                    quire EALs based on operating reactor concerns, such as offsite ra-                  longer required. Other indications, such as SFP level or temperature,
                                                    diation monitoring, pressure in containment, and the response of the                 can be used at sites where there is spent fuel in the SFPs.
                                                    emergency core cooling system.                                                     In the SOC for the final rule for EP requirements for ISFSIs and for
                                                  In addition, the NRC is striking language that would otherwise require                 MRS facilities (60 FR 32430), the Commission responded to com-
                                                    offsite EALs of a site area emergency and a general emergency.                       ments concerning a general emergency at an ISFSI and MRS, and
                                                                                                                                         concluded that, ‘‘. . . an essential element of a General Emergency
                                                                                                                                         is that a release can be reasonably expected to exceed EPA PAGs
                                                                                                                                         exposure levels off site for more than the immediate site area.’’
                                                                                                                                       The probability of a condition at a defueled facility causing a release of
                                                                                                                                         radioactive material offsite necessitating a declaration of a site area
                                                                                                                                         or general emergency is very low. In the event of an accident at a
                                                                                                                                         defueled facility that meets the conditions for exemption from formal
                                                                                                                                         EP requirements, there will be available time for event mitigation
                                                                                                                                         and, if necessary, implementation of offsite protective actions using a
                                                                                                                                         CEMP.
                                                                                                                                       NEI 99–01 was found to be an acceptable method for development of
                                                                                                                                         EALs. No offsite protective actions are anticipated to be necessary,
                                                                                                                                         so classification above the alert level is no longer required.
                                                  10 CFR Part 50, Appendix E, Section IV.C.2. The NRC is granting ex-                  In the EP rule published in the November 23, 2011, FEDERAL REGISTER
                                                    emption from portions of the rule language that would otherwise re-                  (76 FR 72560), nuclear power reactor licensees were required to as-
                                                    quire the licensee to assess, classify, and declare an emergency                     sess, classify and declare an emergency condition within 15 minutes.
                                                    condition within 15 minutes.                                                         Non-power reactors do not have the same potential impact on public
                                                                                                                                         health and safety as do power reactors, and as such, non-power re-
                                                                                                                                         actor licensees do not require complex offsite emergency response
                                                                                                                                         activities and are not required to assess, classify and declare an
                                                                                                                                         emergency condition within 15 minutes. An SFP and an ISFSI are
                                                                                                                                         also not nuclear power reactors as defined in the NRC’s regulations
                                                                                                                                         and do not have the same potential impact on public health and
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                                                                                                                                         safety as do power reactors. A decommissioning power reactor has
                                                                                                                                         a low likelihood of a credible accident resulting in radiological re-
                                                                                                                                         leases requiring offsite protective measures. For these reasons, the
                                                                                                                                         staff concludes that a decommissioning power reactor should not be
                                                                                                                                         required to assess, classify and declare an emergency condition
                                                                                                                                         within 15 minutes.




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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                                  33567

                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                  10 CFR Part 50, Appendix E, Section IV.D.1. The NRC is granting ex-                  Refer to basis for 10 CFR 50.47(b) and 10 CFR 50.47(b)(10).
                                                    emption from portions of the rule language that would otherwise re-
                                                    quire the licensee to reach agreement with local, State, and Federal
                                                    officials and agencies for prompt notification of protective measures
                                                    or evacuations.
                                                  In addition, the NRC is granting exemption from identifying the associ-
                                                    ated titles of officials to be notified for each agency within the EPZs.
                                                  10 CFR Part 50, Appendix E, Section IV.D.2. The NRC is granting ex-                  Refer to basis for 10 CFR Part 50, Appendix E, Section IV.D.1.
                                                    emption from the requirement for the licensee to annually dissemi-
                                                    nate general information on EP and evacuations within the plume ex-
                                                    posure pathway EPZ.
                                                  In addition, the NRC is granting exemption for the need for signage or
                                                    other measures to address transient populations in the event of an
                                                    accident.
                                                  10 CFR Part 50, Appendix E, Section IV.D.3. The NRC is granting ex-                  While the capability needs to exist for the notification of offsite govern-
                                                    emption from portions of the rule language that would otherwise re-                  ment agencies within a specified time period, previous exemptions
                                                    quire the licensee to have the capability to make notifications to                   have allowed for extending the State and local government agencies’
                                                    State and local government agencies within 15 minutes of declaring                   notification time up to 60 minutes based on the site-specific justifica-
                                                    an emergency.                                                                        tion provided.
                                                                                                                                       SCE’s license amendment request to approve its Permanently
                                                                                                                                         Defueled Emergency Plan (PDEP) dated March 31, 2014 (ADAMS
                                                                                                                                         Accession No. ML14092A314), provides that SONGS will make noti-
                                                                                                                                         fications to the State of California, the local counties (Orange and
                                                                                                                                         San Diego), and Marine Corps Base Camp Pendleton within 60 min-
                                                                                                                                         utes of declaration of an event. Considering the very low probability
                                                                                                                                         of beyond-design-basis events affecting the SFP, and with the time
                                                                                                                                         available to initiate mitigative actions consistent with plant conditions
                                                                                                                                         or, if needed, for offsite authorities to implement appropriate protec-
                                                                                                                                         tive measures using a CEMP (all-hazards) approach between the
                                                                                                                                         loss of both water and air cooling to the spent fuel and the onset of
                                                                                                                                         a postulated zirconium cladding fire, formal offsite radiological re-
                                                                                                                                         sponse plans are not needed. Therefore, decommissioning reactors
                                                                                                                                         are not required to notify State and local governmental agencies
                                                                                                                                         within 15 minutes. For similar reasons, the requirement for alerting
                                                                                                                                         and providing prompt instructions to the public within the plume ex-
                                                                                                                                         posure pathway EPZ using an alert and notification system is not re-
                                                                                                                                         quired.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b) and 10 CFR 50.47(b)(10).
                                                  10 CFR Part 50, Appendix E, Section IV.D.4. The NRC is granting ex-                  Refer to basis for 10 CFR Part 50, Appendix E, Section IV.D.3 regard-
                                                    emption from the requirement for the licensee to obtain U.S. Federal                 ing the alert and notification system requirements.
                                                    Emergency Management Agency (FEMA) approval of its backup
                                                    alert and notification capability.
                                                  10 CFR Part 50, Appendix E, Section IV.E.8.a.(i). The NRC is granting                Due to the low probability of DBAs or other credible events to exceed
                                                    exemption from portions of the rule language that would otherwise                    the EPA PAGs at the site boundary, the available time for event miti-
                                                    require the licensee to have an onsite technical support center (TSC)                gation at a decommissioning power reactor and, if needed, to imple-
                                                    and EOF.                                                                             ment offsite protective actions using a CEMP, an EOF would not be
                                                                                                                                         required to support offsite agency response. In addition, an onsite
                                                                                                                                         TSC with Part 50, Appendix E requirements would not be needed.
                                                                                                                                         SCE proposes in its PDEP that onsite actions would be directed
                                                                                                                                         from the Command Center.
                                                  10 CFR Part 50, Appendix E, Section IV.E.8.a.(ii). The NRC is granting               NUREG–0696, ‘‘Functional Criteria for Emergency Response Facili-
                                                    exemption from portions of the rule language that would otherwise                    ties,’’ provides that the OSC is an onsite area separate from the con-
                                                    require the licensee to have an onsite operational support center                    trol room and the TSC where licensee operations support personnel
                                                    (OSC).                                                                               will assemble in an emergency. For a decommissioning power reac-
                                                                                                                                         tor, an OSC is no longer required to meet its original purpose of an
                                                                                                                                         assembly area for plant logistical support during an emergency. The
                                                                                                                                         OSC function can be incorporated into the Command Center, as pro-
                                                                                                                                         posed by SCE.
                                                  10 CFR Part 50, Appendix E, Section IV.E.8.b. and subpart Sections                   Refer to basis for 10 CFR 50.47(b)(3).
                                                    IV.E.8.b.(1)–E.8.b.(5). The NRC is granting exemption from the re-
                                                    quirements related to an offsite EOF location, space and size, com-
                                                    munications capability, access to plant data and radiological informa-
                                                    tion, and access to coping and office supplies.
                                                  10 CFR Part 50, Appendix E, Section IV E.8.c. and Sections IV                        Refer to basis for 10 CFR 50.47(b)(3).
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                                                    E.8.c.(1)–E.8.c.(3). The NRC is granting exemption from the require-
                                                    ments to have an EOF with the capabilities to obtain and display
                                                    plant data and radiological information; the capability to analyze tech-
                                                    nical information and provide briefings; and the capability to support
                                                    events occurring at more than one site (if the emergency operations
                                                    center supports more than one site).




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                                                  33568                           Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices

                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                  10 CFR Part 50, Appendix E, Section IV E.8.d. The NRC is granting                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.1 regarding
                                                    exemption from the requirements to have an alternate facility that                   hostile action.
                                                    would be accessible even if the site is under threat of or experi-
                                                    encing hostile action, to function as a staging area for augmentation
                                                    of emergency response staff.
                                                  10 CFR Part 50, Appendix E, Section IV.E.8.e. The NRC is granting                    Refer to basis for 10 CFR 50.47(b)(3).
                                                    exemption from the requirement regarding the need for the licensee
                                                    to comply with paragraph 8.b of this section.
                                                  10 CFR Part 50, Appendix E, Section IV.E.9.a. The NRC is granting                    Refer to basis for 10 CFR 50.47(b) and 10 CFR 50.47(b)(10).
                                                    exemption from portions of the rule language that would otherwise                  The State and the local governments in which the nuclear facility is lo-
                                                    require the licensee to have communications with contiguous State                    cated need to be informed of events and emergencies, so lines of
                                                    and local governments that are within the plume exposure pathway                     communication are required to be maintained.
                                                    EPZ (which is no longer required by the exemption granted to 10
                                                    CFR 50.47(b)(10)).
                                                  10 CFR Part 50, Appendix E, Section IV.E.9.c. The NRC is granting                    Because of the low probability of DBAs or other credible events that
                                                    exemption from the requirements for communication and testing pro-                   would be expected to exceed the EPA PAGs and the available time
                                                    visions between the control room, the onsite TSC, State/local emer-                  for event mitigation and, if needed, implementation of offsite protec-
                                                    gency operations centers, and field assessment teams.                                tive actions using a CEMP, there is no need for the TSC, EOF, or
                                                                                                                                         offsite field assessment teams.
                                                                                                                                       Also refer to justification for 10 CFR 50.47(b)(3). Communication with
                                                                                                                                         State and local emergency operations centers is maintained to co-
                                                                                                                                         ordinate assistance on site if required.
                                                  10 CFR Part 50, Appendix E, Section IV.E.9.d. The NRC is granting                    The functions of the control room, EOF, TSC, and OSC may be com-
                                                    exemption from portions of the rule language that would otherwise                    bined into one or more locations at a permanently shutdown and
                                                    require provisions for communications from the control room, onsite                  defueled facility due to its smaller facility staff and the greatly re-
                                                    TSC, and EOF with NRC Headquarters and appropriate Regional                          duced required interaction with State and local emergency response
                                                    Operations Center.                                                                   facilities, as compared to an operating reactor.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR Part 50, Appendix E, Section IV.F.1. and Section IV F.1.viii.                 Decommissioning power reactor sites typically have a level of emer-
                                                    The NRC is granting exemption from portions of the rule language                     gency response that does not require additional response by the li-
                                                    that would otherwise require the licensee to provide training and                    censee’s headquarters personnel. Therefore, the staff considers ex-
                                                    drills for the licensee’s headquarters personnel, Civil Defense per-                 empting licensee’s headquarters personnel from training require-
                                                    sonnel, or local news media.                                                         ments to be reasonable.
                                                                                                                                       Due to the low probability of DBAs or other credible events to exceed
                                                                                                                                         the EPA PAGs, offsite emergency measures are limited to support
                                                                                                                                         provided by local police, fire departments, and ambulance and hos-
                                                                                                                                         pital services, as appropriate. Local news media personnel no longer
                                                                                                                                         need radiological orientation training since they will not be called
                                                                                                                                         upon to support the formal Joint Information Center. The term ‘‘Civil
                                                                                                                                         Defense’’ is no longer commonly used; references to this term in the
                                                                                                                                         examples provided in the regulation are, therefore, not needed.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2. The NRC is granting ex-                  Because of the low probability of DBAs or other credible events that
                                                    emption from portions of the rule language that would otherwise re-                  would be expected to exceed the limits of EPA PAGs and the avail-
                                                    quire testing of a public alert and notification system.                             able time for event mitigation and, if necessary, offsite protective ac-
                                                                                                                                         tions from a CEMP, the public alert and notification system will not
                                                                                                                                         be used and, therefore, requires no testing.
                                                                                                                                       Also refer to basis for 10 CFR 50.47(b).
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.a. and Sections IV.F.2.a.(i)              Due to the low probability of DBAs or other credible events that would
                                                    through IV.F.2.a.(iii). The NRC is granting exemption from the re-                   be expected to exceed the limits of EPA PAGs, the available time for
                                                    quirements for full participation exercises and the submittal of the as-             event mitigation and, if necessary, implementation of offsite protec-
                                                    sociated exercise scenarios to the NRC.                                              tive actions using a CEMP, no formal offsite radiological response
                                                                                                                                         plans are required. Therefore, the need for the licensee to exercise
                                                                                                                                         onsite and offsite plans with full participation by each offsite authority
                                                                                                                                         having a role under the radiological response plan is not required.
                                                                                                                                       The intent of submitting exercise scenarios at an operating power reac-
                                                                                                                                         tor site is to check that licensees utilize different scenarios in order
                                                                                                                                         to prevent the preconditioning of responders at power reactors. For
                                                                                                                                         decommissioning power reactor sites, there are limited events that
                                                                                                                                         could occur and, as such, the previously routine progression to gen-
                                                                                                                                         eral emergency in an operating power reactor site scenario is not ap-
                                                                                                                                         plicable.
                                                                                                                                       The licensee would be exempt from 10 CFR Part 50, Appendix E, Sec-
                                                                                                                                         tion IV.F.2.a.(i)–(iii) because the licensee would be exempt from the
                                                                                                                                         umbrella provision of 10 CFR Part 50, Appendix E, Section IV.F.2.a.
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                                                  10 CFR Part 50, Appendix E, Section IV.F.2.b. The NRC is granting                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.F.2.a.
                                                    exemption from portions of the rule language that would otherwise                  The low probability of DBAs or other credible events that would exceed
                                                    require the licensee to submit scenarios for its biennial exercises of               the EPA PAGs, the available time for event mitigation and, if nec-
                                                    its onsite emergency plan. In addition, the NRC is granting exemp-                   essary, implementation of offsite protective actions using a CEMP,
                                                    tion from portions of the rule language that requires assessment of                  render a TSC, OSC, and EOF unnecessary. The principal functions
                                                    offsite releases, protective action decision making, and references to               required by regulation can be performed at an onsite location that
                                                    the TSC, OSC, and EOF.                                                               does not meet the requirements of the TSC, OSC or EOF.




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                                                                                  Federal Register / Vol. 80, No. 113 / Friday, June 12, 2015 / Notices                                                 33569

                                                                   10 CFR Part 50, Appendix E, Section IV                                                    NRC staff basis for exemption

                                                  10 CFR Part 50, Appendix E, Section IV.F.2.c. and Sections IV                        Refer to basis for 10 CFR Part 50, Appendix E, Section IV.F.2.a.
                                                    F.2.c.(1) through F.2.c.(5). The NRC is granting exemption from the
                                                    requirements regarding the need for the licensee to exercise offsite
                                                    plans biennially with full participation by each offsite authority having
                                                    a role under the radiological response plan. The NRC is also grant-
                                                    ing exemptions from the conditions for conducting these exercises
                                                    (including hostile action exercises) if two different licensees have fa-
                                                    cilities on the same site or on adjacent, contiguous sites, or share
                                                    most of the elements defining co-located licensees.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.d. The NRC is granting                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    exemption from the requirements to obtain State participation in an
                                                    ingestion pathway exercise and a hostile action exercise, with each
                                                    State that has responsibilities, at least once per exercise cycle.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.e. The NRC is granting                    Refer to basis for 10 CFR Part 50, Appendix E, Section IV.2.
                                                    exemption from portions of the rule language that would otherwise
                                                    require the licensee to allow participation exercise in licensee drills
                                                    by any State and local government in the plume exposure pathway
                                                    EPZ when requested.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.f. The NRC is granting ex-                FEMA is responsible for evaluating the adequacy of offsite response
                                                    emption from portions of the rule language that would otherwise re-                  during an exercise. Because the NRC is granting exemptions from
                                                    quire FEMA to consult with the NRC on remedial exercises. The                        the requirements regarding the need for the licensee to exercise on-
                                                    NRC is granting exemption from portions of the rule language that                    site and offsite plans with full participation by each offsite authority
                                                    discuss the extent of State and local participation in remedial exer-                having a role under the radiological response plan, FEMA will no
                                                    cises.                                                                               longer evaluate adequacy of offsite response during remedial or
                                                                                                                                         other exercises.
                                                                                                                                       No action is expected from State or local government organizations in
                                                                                                                                         response to an event at a decommissioning power reactor site other
                                                                                                                                         than firefighting, law enforcement and ambulance/medical services
                                                                                                                                         support. A memorandum of understanding should be in place for
                                                                                                                                         those services. Offsite response organizations will continue to take
                                                                                                                                         actions on a comprehensive EP basis to protect the health and safe-
                                                                                                                                         ty of the public as they would at any other industrial site.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.i. The NRC is granting ex-                Due to the low probability of DBAs or other credible events to exceed
                                                    emption from portions of the rule language that would otherwise re-                  the EPA PAGs, the available time for event mitigation and, if need-
                                                    quire the licensee to drill and exercise scenarios that include a wide               ed, implementation of offsite protective actions using a CEMP, the
                                                    spectrum of radiological release events and hostile action.                          previously routine progression to general emergency in power reac-
                                                                                                                                         tor site scenarios is not applicable to a decommissioning site. There-
                                                                                                                                         fore, the licensee is not expected to demonstrate response to a wide
                                                                                                                                         spectrum of events.
                                                                                                                                       Also refer to basis for 10 CFR Part 50, Appendix E, Section IV.1 re-
                                                                                                                                         garding hostile action.
                                                  10 CFR Part 50, Appendix E, Section IV.F.2.j. The NRC is granting ex-                Refer to basis for 10 CFR Part 50, Appendix E, Section IV.F.2.
                                                    emption from the requirements regarding the need for the licensee’s
                                                    emergency response organization to demonstrate proficiency in key
                                                    skills in the principal functional areas of emergency response..
                                                  In addition, the NRC is granting exemption during an eight calendar
                                                    year exercise cycle, from demonstrating proficiency in the key skills
                                                    necessary to respond to such scenarios as hostile actions, un-
                                                    planned minimal radiological release, and scenarios involving rapid
                                                    escalation to a site area emergency or general emergency.
                                                  10 CFR Part 50, Appendix E, Section IV.I The NRC is granting exemp-                  Refer to basis for 10 CFR Part 50, Appendix E, Section IV.E.8.d.
                                                    tion from the requirements regarding the need for the licensee to de-
                                                    velop a range of protective actions for onsite personnel during hostile
                                                    actions.



                                                  [FR Doc. 2015–14423 Filed 6–11–15; 8:45 am]             STATUS:    Public and Closed.                          Thursday, June 25, 2015
                                                  BILLING CODE 7590–01–P
                                                                                                          Week of June 15, 2015                                  9:00 a.m. Briefing on Proposed
                                                                                                            There are no meetings scheduled for                    Revisions to Part 10 CFR part 61 and
                                                  NUCLEAR REGULATORY                                      the week of June 15, 2015.                               Low-Level Radioactive Waste
                                                  COMMISSION                                              Week of June 22, 2015—Tentative                          Disposal (Public Meeting)
                                                  [NRC–2015–0001]                                         Tuesday, June 23                                         (Contact: Gregory Suber, 301–415–
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                                                                                                                                                                     8087)
                                                  Sunshine Act Meeting Notice                             9:00 a.m. Briefing on Human Capital
                                                                                                            and Equal Employment Opportunity                       This meeting will be webcast live at
                                                  DATE:   June 15, 22, 29, July 6, 13, 20,                  (Public Meeting)                                     the Web address—http://www.nrc.gov/.
                                                  2015.                                                     (Contact: Dafna Silberfeld, 301–287–                 Week of June 29, 2015—Tentative
                                                  PLACE:Commissioners’ Conference                             0737)
                                                  Room, 11555 Rockville Pike, Rockville,                    This meeting will be webcast live at                   There are no meetings scheduled for
                                                  Maryland.                                               the Web address—http://www.nrc.gov/.                   the week of June 29, 2015.


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Document Created: 2018-02-22 10:16:30
Document Modified: 2018-02-22 10:16:30
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionExemption; issuance.
ContactThomas Wengert, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; telephone: 301-415-4037; email: [email protected]
FR Citation80 FR 33558 

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