Thursday, August 21, 2014

Premature Failure of U.S. Spent Nuclear Fuel Storage Canisters

In a nutshell all we are saying is that this process should be slowed down to ensure the best possible choice of dry cask canisters is made, spend the money wisely “once” to avert another steam generator type disaster and ensure the safety of California’s future. Gene Stone &  Donna Gilmore.

Premature Failure of U.S. Spent Nuclear Fuel Storage Canisters
The California Public Utility Commission (CPUC) should delay funding the new San Onofre dry cask storage system until Southern California Edison provides written substantiation that the major problems identified below are resolved. 
San Onofre’s Chief Nuclear Officer, Tom Palmisano, told the California Senate Energy, Utilities and Communications Committee on August 12th that Edison plans to decide in August or September on a dry cask system vendor. The dry casks systems Edison is considering may fail within 30 years or possibly sooner, based on information provided by Nuclear Regulatory Commission (NRC) technical staff. And there is no technology to adequately inspect canisters and no system in place to mitigate a failed canister.
Edison created an artificial date of June 2019 to have all the spent fuel assemblies loaded into canisters. We don’t need to rush into another “steam generator” like boondoggle.  Edison’s Tom Palmisano told the California Senate Energy, Utilities and Communication Committee on August 12th that issues regarding high burnup fuel and dry cask storage have been addressed. However, these issues have not been resolved.
Canisters may need to be replaced within 30-42 years or sooner. 
Recent information provided by the NRC technical staff indicates dry storage canisters may need to be replaced within 30-42 years or sooner, due to stress corrosion cracking of the thin (1/2 to 5/8 inch) stainless steel canisters (due to our coastal environment). Similar stainless steel materials at nuclear plants have failed within 16 to 33 years.  The concrete overpacks also have aging issues that are accelerated in coastal environments.                                          sanonofrecaskloadingintostoragebunker
Southern California Edison has budgeted $400 million dollars for the dry storage system. As Commissioner Florio stated after the recent CPUC meeting in Costa Mesa, “We don’t want to have to buy these again.”
No remediation plan to repair or replace failed canisters.
The NRC stated that if one of the canisters becomes defective (e.g. 75% through-wall stress corrosion cracks), there is no way to repair or replace the canister; especially if the spent fuel storage and transfer pools are demolished, as Edison plans to do. And before a canister can be transported (inside a transport cask), the canister must not have cracks.
No technology to adequately inspect canisters for stress corrosion cracking.
The NRC states technology does not exist to adequately inspect steel canisters for stress corrosion cracks or to measure how or when the cracks will go through the wall of the canister. They plan to allow the nuclear industry 5 years to try to develop technology. And then they only plan to require inspection of one canister at each nuclear plant.  
No license renewals until aging management issued addressed.
The NRC is in the process of developing an aging management plan due to the new requirement that dry storage systems need to last 100 to 300+ years. They are delaying license renewals until unresolved aging management issues can be addressed. However, they plan to allow the NUHOMS 32PTH2 canister that Edison may procure to be included in an existing license. The NRC is evaluating how long dry storage systems will last. Previously, they only needed to last 20+ years with the assumption there would be a permanent repository.
No canisters approved for high burnup fuel for more than the initial 20 years.
The NRC has not extended licenses past the initial 20 years for storage of high burnup fuel (>45GWd/MTU) due to unknowns about high burnup fuel in storage and transport. This fuel is over twice as radioactive and hotter than lower burnup fuel.  The NRC has allowed nuclear plants to burn fuel longer, without the research to show that it is safe in storage and transport. The protective fuel cladding can become brittle and crack; resulting is higher risk for radiation exposure, if the canisters fail.
NUHOMS dry canister license certification expires in less than nine years.
The NUHOMS DSC-32PTH2 canisters that Edison wants to procure are not yet licensed by the NRC. If approved, the license will expire in less than nine years (February 5, 2023), since Areva-TN decided to avoid a new license certification and include it in their existing license for the DSC-24PT series, which has a different design.
New design of the NUMHOMS DSC-32PTH2 eliminates failed fuel cans.  
Unlike the existing 24 fuel assembly canisters, the new 32 fuel assembly canisters have no provision for Failed Fuel Cans. This means damaged fuel assemblies (of which San Onofre has many) cannot be used in the DSC-32PTH2 canisters. The NRC and DOE require fuel assemblies to be retrievable so they can be transferred to other containers. The Failed Fuel Cans met this requirement.
Background
On July 14th, 15th and August 5th the NRC had public meetings to address aging management issues with dry cask storage system. Their goal is to require an aging management plan before relicensing or issuing new licenses, now that the NRC knows on-site or interim dry cask storage will be needed for up to 300 years or more. The NRC stated the earliest date for a permanent repository is 2048 and that is optimistic. They are researching on-site and interim dry cask storage requirements for 40,100, 150 and 300+ years. No NRC canisters are certified for extended storage or for geological repository storage. Canister licenses for the more dangerous and unstable high burnup (>45GWd/MTU) spent fuel have not been renewed for more than the initial 20 year license, even for expired licenses. And the NRC’s Bob Einziger states there are still transportation problems with high burnup fuel. NRC staff plan to have a draft for public comment regarding dry cask storage relicensing by the end of 2014, according to Mark Lombard, Director, Division of Spent Fuel Storage and Transportation. However, this will not address our current issues.
Stainless Steel Dry Canister Problems
Darrell Dunn, an NRC materials engineer, stated stainless steel dry storage canisters are vulnerable to failure within about 25 – 42 years. If any of the fuel cladding in the canister fails, there is no protective barrier and we could have a serious radiation release. The NRC said they have no current mitigation plan for that consequence.  They suggested we MIGHT be able to put the fuel back in the spent fuel pool.  However, Edison plans to destroy the spent fuel and transfer pools. And there is no technology to repair the canisters. The NRC said they HOPE there will be a solution for mitigation in the future. Even an NRC May 2nd High Burnup Fuel letter admits there are mitigation problems.
No Inspections of Stainless Steel Canisters
To make matters worse, these stainless steel canisters are not inspected after they are loaded into the unsealed concrete overpacks (Areva NUHOMS) or concrete casks (Holtec and NAC Magnastor).  The NRC proposed having each nuclear plant inspect the outside of only ONE stainless steel canister before they receive a license renewal and then do that once every 5 years.  The industry balked at having to even check one canister at every plant. The problem with the stainless steel canisters is they do not protect against gamma rays; so it’s not a simple task to remove a canister from the concrete overpack/cask to examine the exterior for corrosion or other degradation. And since welded canisters do not have monitoring for helium leaks, we may not have any warning of an impending radiation release. 
Concrete Overpack Corrosion Problems
Darrell Dunn discussed serious corrosion problems with the concrete overpacks/casks, especially in coastal environments.   
Ductile Cast Iron Casks may be a better solution
Asked if San Onofre would be better off using ductile cast iron casks like the CASTOR, due to our coastal environment, Aladar (Al) Csontos, NRC Branch Chief in the Division of Spent Fuel Storage and Transportation (SFST), said that might be a better option near the ocean. Casks, such as CASTOR, may eventually have aging issues with bolts and seals. The CASTOR has double sealed lids, so even if one fails, we’ll still have a sealed canister. And Edison would be able to easily monitor for cask material degradation with all the casks.
The NRC licensed the CASTOR V/21 ductile cast iron cask years ago and the cask is still in use. In fact, a CASTOR V/21 was used to prove low burnup fuel is safe to store for over 15 years. However, none of the current U.S. cask designs have been tested even though they use a different storage technology.  The U.S. industry chose a different technology (stainless steel/concrete overpack/cask) mainly due to the cost of ductile cast iron at the time and with the assumption that the canisters would only be needed until Yucca Mountain opened. The CASTOR V/21 was considered the “Cadillac” of the industry and the CASTOR line is still very popular in other parts of the world for BOTH storage and transport (including high burnup fuel). The CASTOR canisters have multiple certifications for quality manufacturing, unlike the U.S. stainless steel canisters that are allowed exceptions to ASME and other standards. Material prices for stainless and cast iron have changed, so the price point should be lower.
The CASTOR has pressurized lid monitoring to detect helium leaks and temperature changes. The welded U.S. canisters do not have this capability, but the NRC and Department of Energy (DOE) state this is a high priority issue to resolve.
The inside of the CASTOR cask, including the sealing surface, has a nickel coating for corrosion protection. On the outside, the cask is protected by an epoxy resin coating in the fin area and nickel coating elsewhere.  And unlike the U.S. stainless steel canisters, it does not have stress corrosion cracking issues and does not require a concrete overpack/cask.
The original CASTOR V/21 is almost 15″ thick as opposed to the 1/2″ to 5/8″ stainless steel canisters.  The newer model CASTOR V/19 is almost 20″ thick. There are other ductile cast iron canister brands that are used in other countries. However, the U.S. emphasis on cost rather than longer term safety discourages competition from better quality casks vendors. With new U.S. needs for longer term onsite and interim dry cask storage, this should change.
Forged Steel Casks (AREVA TN Series)
Areva makes thick walled forged steel casks (TN series), which were approved for limited use years ago by the NRC. The TN cask is much thicker than the stainless steel canisters and doesn’t require a cement overpack/cask.  Its specifications are not as robust as the CASTOR, but better than the Areva NUHOMS system that Edison may procure.  Fukushima Daiichi and Germany use some TN casks. Germany mainly uses the CASTOR casks. 
Enclose Casks in Buildings
Both Japan and Germany enclose their casks in buildings for protection from the environment and other external forces. This is something Edison should consider.
Action Needed
No dry cask solution is even close to perfect, but we need to buy ourselves as much time as possible. Given the issues with stress corrosion cracking, concrete degradation, lack of monitoring, and lack of external inspection of stainless steel canisters, we can do better. Spent fuel pools are dangerous. However, the spent fuel needs to cool in the pools for a number of years, so we have time to do a better job selecting a dry cask storage system. Edison’s artificial deadline of June 2019 to have all canisters loaded should not be the driving factor for the future of California.
The NRC does not proactively research dry storage system designs. They only respond to vendor requests for licensing. Vendors will only do this if they think they have a customer lined up for their product. California needs to be that customer. 
Edison should reopen the bidding to include vendors with other cask technology. Edison’s Community Engagement Panel (CEP) had a presentation from Areva, but from no other dry cask storage vendors. Edison only solicited bids from three canister system manufacturers who all have the problems mentioned in this document. Edison requested the NRC approve the NUHOMS 32PTH2 design – it was not licensed when they decided to use it. That license amendment (Docket No. 72-1029, Certificate of Compliance No. 1029 Amendment No. 3) may be approved in August.  However, the CPUC should not approve funding for this canister system.
Edison has not shared with us the documents they used to solicit bids (Request for Proposal), so we have no idea what the requirements are in that bid package.  That would be useful information and the public should have access to this information.
If you have questions about sources for any information, contact Donna Gilmore. There are also detailed references on the SanOnofreSafety.org website.  A link to the NRC July and August presentations as well as other documents discussed here are on the following pages.
Donna Gilmore                                            
SanOnofreSafety.org                                  
949-204-7794, dgilmore@cox.net 
Gene Stone
Residents Organized for a Safe Environment (ROSE)                              
Member, SONGS Community Engagement Panel
949-233-7724, genston@sbcglobal.net
References
High Burnup Fuel
High Burnup Nuclear Fuel −Pushing the Safety Envelope, M. Resnikoff, D. Gilmore, Jan 2014  http://sanonofresafety.files.wordpress.com/2014/01/hbffactsheet01-09-2014.pdf
Letter from Chairman Macfarlane regarding high burnup fuel, May 2, 2014http://sanonofresafety.files.wordpress.com/2013/06/05-02-14-ltr-to-priscilla-star-fm-chairman-macfarlane.pdf
Response from Donna Gilmore to NRC regarding May 2, 2014 request for NRC high burnup fuel technical basis, June 25, 2014
NRC Presentations
NRC Meeting to Obtain Stakeholder Input on Potential Changes to Guidance for Renewal of Spent Fuel Dry Cask Storage System Licenses and Certificates of Compliance, July 14th/15th, 2014 (includes slide presentations)
Chloride-Induced Stress Corrosion Cracking Tests and Example Aging Management Program, Darrell S. Dunn, NRC/NMSS/SFST, Public Meeting with NEI on Chloride Induced Stress Corrosion Cracking Regulatory Issue Resolution Protocol, August 5, 2014
CASTOR Dry Casks (Ductile cast iron cask technology)
CASTOR V/21 NRC Certificate of Compliance and Safety Analysis Report, August 17, 1990   http://pbadupws.nrc.gov/docs/ML0330/ML033020117.pdf
CASTOR brochure (includes the CASTOR V/19 and other ductile cast iron casks).
GNS’ [CASTOR] experience in the long-term storage at dry interim storage facilities in Ahaus and Gorleben, IAEA Vienna, May 20, 2014  http://bit.ly/1jUSNOZ
Spent Fuel Storage and Transportation Experience, Idaho National Engineering Laboratory (GNS Castor V/21, Transnuclear TN-24P, Westinghouse MC-10, NAC S-100-C), 1987
BAM test results for CASTOR transport containers
Fracture Mechanics Based Design for Radioactive Material Transport Packagings, Historical Review, Sandia SAND98-0764 UC-804, April 1998http://www.osti.gov/scitech/servlets/purl/654001
GNS CASTOR Presentation, June 09-11, 2010, Varna, Bulgaria (slide 18: CASTOR V/19, V52)
Areva TN Series Casks (forged steel cask technology)
TN-24 NRC Certificate of Compliance and Safety Analysis Report, November 4, 1993
AREVA Innovation in the Design of the Used Fuel Storage System, CRIEPI Tokyo, November 15-17, 2010 (includes information on TN 24 casks)
AREVA Dual Purpose Casks in Operation, AREVA TN Experience, Vienna, May 19-21, 2014 http://bit.ly/1l9xO5R
NUHOMS 32PTH2 and San Onofre Decommissioning Plans
NRC Certificate of Compliance for Spent Fuel Storage Casks, COC 1029, Docket 72-1029, Amendment 3, Model No. Standardized Advanced NUHOMS®-24PT1, 24PT4, and 32PTH2,  expires 02/05/2023 (pending NRC approval as of 8/20/2014)
Comments on Direct Rule re List of Approved Storage Casks (79 Fed. Reg. 21,121 (April 15, 2014), Request for Rescission of the Direct Rule, and Request for Publication of a New and Revised Notice of  Proposed Rulemaking, Docket No. 13-0271, Diane Curran, on behalf of 20 environmental organizations and individuals.
February 10, 2012 letter from Edison to NRC: Support for NRC Review of Transnuclear Inc. Application for Amendment 3 to the Standardized Advanced NUHOMS® Certificate of Compliance No. 1029, San Onofre Nuclear Generating Station, Units 2 and 3 and Independent Spent Fuel Storage Installation Docket Nos. 50-36, 50-362 and 72041
Update on Decommissioning Plans, Tom Palmisano, Vice President & Chief Nuclear Officer, August 12, 2014 presentation to CA Senate Energy, Utilities and Communications Committee, Chairman Alex Padilla
Community Engagement Panel Correspondence
High Burnup Fuel and Dry Cask Storage Issues, July 17, 2014 letter to CEP Chairman David Victor from Donna Gilmore, San Onofre Safety
David Victor testimony to NRC Commissioners, July 15, 2014
Additional references at SanOnofreSafety.org

Saturday, July 19, 2014

2 ACTION ALERTS NEED YOUR COMMENTS!

1st ACTION ITEM;

Please write to all the NRC Commissioners in support of the Chairperson MacFarlane idea to update the NRC Regs in a effort to make it clear for all Plant owners and the public on the decommissioning process for nuclear plants and the handling of "HBF" (high burn fuel). Please ask the Commissioners to have the NRC open a old cask with HBF in it to check on condition of this highly dangerous fuel and the cask condition.

Here are the email address:
Chairman@nrc.gov
CMRSVINICKI@nrc.gov
CMRMAGWOOD@nrc.gov
CMROSTENDORFF@nrc.gov

2nd ACTION ITEM;

THE EPA WOULD LIKE YOUR COMMENTS! DEADLINE AUGUST 3rd.
Both proponents and opponents of nuclear power expect the
Environmental Protection Agency in coming months to relax its rules
restricting radiation emissions from reactors and other nuclear
facilities. EPA officials say they have no such intention, but they
are willing to reconsider the method they use to limit public
exposure—and the public’s level of risk. Comment by August 3, 2014.
The EPA is seeking public input here http://www.regulations.gov/#!documentDetail;D=EPA-HQ-OAR-2013-0689-0001 upper right corner "comment now".

Thanks for your activism.

Sincerely,

Gene Stone, ROSE

Thursday, July 17, 2014

Recommendations for temporary storage of Nuclear Waste at San Onofre



How long will SONGS be a Nuclear Waste Dump? That answer is unclear at best. But for sure it will be here longer than anyone wants. So it will be safest and cheapest to store it right the first time! SCE and NRC love’s to say the risks are small, but they don’t like to tell us how BIG a nuclear waste accident can be. Anyone remember Chernobyl and Fukushima?

ROSE advocates relocation of nuclear waste as soon as is feasible from the SONGS site to a less populated area and a less earthquake prone area. Temporary or permanent, although a permanent situation is preferred.
1. Storage of dry cask of any type should be within it’s own building to protect them from the salt air at San Onofre as some other countries do .
2. The best canister we have seen is the V-19 German canister. (The V-19 and 21 canisters are an example of a better made product for our site at San Onofre. It was not meant to be a recommendation to buy, just the type of construction method we may want to look at.)
3. There should be a fuel pool with crane on site to mitigate any accident with any of the dry casks.
4. There should be some type of pressure or radiation monitoring of cask in real time which the V-19 canister has.
5. NRC needs to update it’s procedures to include inspections of decommissioned cask storage areas on a regular and timely basis.
6. DOE needs to set a firm date as to when they will takeover SONGS nuclear waste and exactly how they will do that.

Donna Gilmore talking about dry cask storage for San Onofre Nuclear (Waste) Generating Station 

http://www.youtube.com/watch?v=xLr0WR5oSjU

By Gene Stone


Wednesday, July 16, 2014

Notes from David G. Victor SCE/CEP Chairman

Here are two important notes from David G. Victor SCE/CEP chairman.  Reading these carefully will give you insight into David’s understanding and misconceptions of how Southern California should proceed with the decommissioning of SONGS and it’s new life as a Nuclear Waste Dump, and how in the world to work with the NRC.

Overall in my opinion he is starting to get the complexities in decommissioning a Nuke Plant with 8,4 million people within a 50 mile radius and the lack of real direction and oversight by the NRC.
To read these note click on the links below.
Burden
By Gene Stone, ROSE

Monday, June 16, 2014

Fukushima To San Onofre Sunseting On Nuclear Power




Public Meeting on San Onofre -- Public can speak out about PUC Dysfunction and Sky High Power Rates

Hundreds of secret documents in PUC San Onofre files may halt settlement

Opponents "GAGGED" at San Onofre Public Meeting but PUC Allows Hours of Private Meetings With Utilities

The California Public Utility Commission (CPUC) announced a public meeting regarding the San Onofre proposed settlement, Monday, June 16, 2014, at the Costa Mesa Neighborhood Community Center, 1845 Park Ave., Costa Mesa, CA 92627, 4pm to 7pm. The public is invited to present their views and ask questions

Opponents to the settlement will also hold a press conference at 3:30pm in the patio of the center just prior to the main event, which is considered the kick off to the "World Cup of Bailouts."

Some members of the public have said the CPUC is a "Kangaroo Court" and there are rumors that wild kangaroos will invade the meeting.

The settlement was negotiated by Southern California Edison (SCE) and San Diego Gas & Electric SDG&E) in secret meetings starting in May 2013, with one outside party, TURN (The Utility Reform Network) and one CPUC internal party, the Office of Ratepayer Advocacy (ORA). The final settlement was first revealed to the public and to other parties on March 27, 2014, with the stipulation that it could not be modified in any way.

It provides that SCE receive $3.3 billion for the crippled San Onofre Nuclear Generating Station (SONGS). Proponents have sold this as a $1.4 billion "refund" but in reality, that figure is simply the difference from the original absurd utility request of $4.7 billion and the proposed settlement figure.

Opponents believe ratepayers should receive refund checks of about $250 million.

"The difference in the two sides is stark. The utilities and their followers want ratepayers to provide the net asset value of the base plant PLUS a return of 2.65%, a situation unheard of, even in the distorted world of public utilities," said Ray Lutz, National Coordinator of Citizens Oversight, representing the Coalition to Decommission San Onofre (CDSO) a leading opponent to the bailout settlement. "It is clear that the Commission had this rigged from the beginning, as the meat of the investigation was delayed so long while they fiddled with inconsequential issues."

"The Commission has likely jumped to a conclusion to support the unfair settlement, without allowing the proceedings to complete, and that's why rumors are circulating that wild kangaroos may be invading the meeting," said Charles Langley, a San Diego Gas & Electric ratepayer.

In response to a recent Public Records Request, the CPUC revealed hundreds of secret documents provided to the Commission by technical consultants and never provided to other parties. "It is highly improper to collect all this data and share with the utilities but not with the other parties in the proceeding," said Michael Aguirre, who represents Ruth Henricks, a party in the CPUC San Onofre investigation. "Technical consultants have apparently been working for the Commission and with Commission lawyers for months, generating this treasure trove of secret documents that will likely kill the settlement on the spot. This looks like a way to set up a back-channel with utilities to allow the settlement to be discussed." The consultants were slated to be used for the Phase 3 investigation, which never was started.

The PUC’s pattern of stifling public participation is troubling. Last week a Court issued a decision to stop ratepayers from going to Superior Court to prevent closed door meetings in violation of the Bagley Keene Open Meeting Act.  Ratepayer advocate, Maria Severson, has called on state legislators to draft a bill that ensures the PUC – like every other state agency – has no closed door meetings and complies with the Public Records Act, and if they try to shut the door to the public, the ratepayers can go to Superior Court to stop them.  These “Sunshine” and “Open Meeting” Laws are not being obeyed by the Commission. Last month, PUC President Michael Peevey, a former Southern California  Edison officer, weighed in on the public’s right to participate in PUC proceedings. His position articulated on the attached five-second mp3 recording.

An extremely brief evidentiary hearing was held on May 14, 2014 in CPUC headquarters in San Francisco. At that meeting, SCE President Ron Litzinger admitted to Aguirre's questions that there was nothing in the record that would allow the Commission to evaluate whether the settlement adequately addressed ratepayer's claims.

Now, a public participation meeting is being held to allow the parties to make statements and to allow the public to ask questions. "We had to struggle to get equal time," Lutz said. "But now they are trying to control what we can say as well."

At first, they gave opponents no time at all. Then, proponents 40 minutes and opponents only 20 minutes. When the CDSO said they planned to make a Powerpoint presentation and needed more time, perhaps 30 minutes, the ALJ implemented a 'gag' order, disallowing a powerpoint presentation, and requiring all documents to be pre-approved by the ALJs (Administative Law Judges) before it could be presented.

ALJ Melanie Darling said "No projectors, power points, or other argumentative aids will be permitted inside the meeting." and refused to provide a webcast of the meeting.

In response, the CDSO reasserted their request for 30 minutes during the meeting, with the following email, sent to all parties, bringing up the fact that the proponents of the settlement have already met with the Commission in ex parte meetings, including a personal meeting with Florio, the primary Commissioner of the proceeding, for more than two hours.

Dear ALJ Darling:

On April 14, 2014, Southern California Edison and other proponents (SDG&E, TURN, ORA, FOE) of the proposed settlement met in a number of private ex parte meetings. The notice of these meetings is attached. These parties met for 45 minutes with representatives for Commissioner Peevey, 30 minutes with advisors to Commissioner Picker, 30 minutes with advisors to, and with Commissioner Florio, and 30 minutes with Advisors to Commissioner Peterman. During these meetings, they presented their point of view to Commissioner Florio and advisors of the other Commissioners.

There were also other ex parte meetings with the Commission by the proponents of the settlement.

According to the rules of practice and procedure (8.2 and 8.3), such meetings are allowed in ratemaking proceedings with advisors to Commissioners without prior notice. Prior notice was provided for the meeting with Commissioner Florio. This is a ratemaking proceeding. Also, including in those rules, other parties are allowed to request equal time in similar ex parte meetings.

The CDSO hereby makes such a request. We request that we be allowed time at this public meeting to make our presentation to those commissioners and advisors who are present at the meeting. We will not be constrained in what we choose to present to the commissioners. We plan to bring a power point projector and screen so we may effectively communicate our position, since I'm sure the proponents were not constrained in their private presentations, and we will be distributing any material we see fit during our presentation to the Commissioners.

I hereby reassert our request for 30 minutes during this meeting for the opponents to the settlement to use as they see fit.

Respectfully,
--Raymond Lutz 

"We have yet to hear back from ALJ Darling, but we are going to assert our rights to make our case as strongly as we can, even though it's clear that this regulatory agency is fully captured by the utilities," Lutz said. 

CONTACT:  Ray Lutz    619-820-5321  / raylutz at citizensoversight dot org

EVENT 1: Orange County Press Conference
WHERE:   Costa Mesa Neighborhood Community Center, 1845 Park Ave., Costa Mesa, CA 92627
WHEN:     (just prior to the public meeting at 4pm)

EVENT 2: CPUC Public Meeting
WHERE:   Costa Mesa Neighborhood Community Center, 1845 Park Ave., Costa Mesa, CA 92627
WHEN:     4-7 pm, Monday, June 16, 2014
NOTE:       Rumors are that wild kangaroos will be invading this "kangaroo court"

Fukushima To San Onofre Sunseting On Nuclear Power
Fukushima To San Onofre Sunseting On Nuclear Power

Monday, June 9, 2014

Sen. Boxer Reads SCE's Request for EXEMPTION from ALL Off Site Evacuation Plans at SONGS!


Senator Boxer reads SCE's Request to be EXEMPT from ALL Offsite Evacuation Plans at San Onofre to NRC Chairman McFarlane! The NRC received the request March 30, 2014 but has yet to review it. The exemption includes: NO Alarms, No Warning Sirens, NO Evacuation Plans, NO Relocation Centers, No Liability FOR CHAOS, Radiation Exposure or DEATH! Senator Boxer grills Chairman McFarlane to TURN DOWN the request. Sadly the NRC HAS NEVER turned down this type of request!!!!

Does this sound like a Commission whose very job is to protect the American Public from a Radiological Event? Does this sound like a Commission whose job it is to protect the Nuclear Industry from being exposed for Hiding Truth about Dangers of Nuclear Energy and Nuclear mishaps and events?

Contact Senator Barbra Boxer and thank her for sticking up for your safety. 


Sen. Boxer Reads SCE's Request for EXEMPTION from ALL Offsite Evacuation Plans at SONGS!
The Power Is Long Gone
The Danger Lives On

Thursday, May 22, 2014

San Onofre Priorities: On-Site Safety, Off-Site Storage

San Onofre Priorities: On-Site Safety, Off-Site Storage
June 7 marks the first anniversary of Southern California Edison’s decision to permanently close the troubled San Onofre nuclear plant near San Clemente. Gene Stone of Residents Organized for a Safe Environment (ROSE) summed it up this way: “We are safer – but we are not yet safe.”
There are two crucial matters: the quality of storage technology on-site at San Onofre, and the prospects for long-term storage at a remote site.
The accuracy of Stone’s words was confirmed at a May 6 workshop on managing nuclear fuel waste. Tom Palmisano, senior nuclear officer for Edison, reported that cooling pools at San Onofre currently hold 2668 spent fuel assemblies including 1115 “high burn-up,” a fuel type that is hotter both thermally and radioactively than conventional fuel.
Spent fuel from Unit 1 is already in dry casks holding 24 assemblies each. Removal of Unit 2 and Unit 3 fuel from pools will require 100 more 32-unit casks. This will triple the footprint of the concrete storage structure, from today’s 200 x 400 feet to an ultimate 400 x 600 feet.
Experts are unanimous that fuel pool hazards are far greater than dry cask storage and the intent is to complete transfer in 5 to 7 years. At that point the focus shifts to long-term safety of casks.
A lively debate at the May 6 workshop pitted Marvin Resnikoff of Radioactive Waste Management Associates against Michael McMahon from cask manufacturer AREVA and Drew Barto, lead on spent fuel storage and transportation for the U.S. Nuclear Regulatory Commission (NRC).
Resnikoff reviewed the performance hazards and risks in cask safety for long-term on-site storage and off-site transport. McMahon and Barto countered with advances in design technology that they say provide a robust and secure storage system even for high burn-up fuel. Through this exchange of sharply differing views, the workshop added value by throwing the spotlight on key technical issues in specific ways that can be debated to a point of resolution. Nuclear safety advocates will be watching the outcome closely.
The other major contribution of the workshop was to confirm a striking degree of unanimity regarding the need to revitalize the process for locating and developing sites for long-term remote storage. Gains in on-site safety promised by technology advances did not diminish the consensus that spent fuel waste should be removed from San Onofre at the earlier possible opportunity.
In part this reflects the unusually exposed nature of the San Onofre site. But sentiment runs deeper. Per Peterson, a member of the NRC’s Blue Ribbon Commission, expressed a feeling little short of dismay at the national failure to identify and develop remote storage. Edison said it is committed to this outcome as the fully satisfactory solution. Members of the expert panel as well as the Citizens Engagement Panel (CEP) that hosted the event made it clear that indefinite on-site storage remains unacceptable.
Message to the NRC: San Onofre may be the test case where all parties are urging a better way than the grotesque and inappropriate land-use outcome of constructing a nuclear waste mausoleum at San Onofre or at any other closed nuclear plant.
Dr. David Victor of UC San Diego chairs the CEP, which organized the workshop. He summed up the discussion this way: “We have an obligation to make the long-term storage of fuel as safe as possible and practical. We need a strategy for federal action on consolidated storage and ultimate repositories. Toward that end, we should articulate what we as a community need—and carry through with the Governor and Congress to assure they give priority to what is most important.”
Enter Senator Barbara Boxer and colleagues Sanders and Markey. On May 16 they introduced Senate bills S. 2324, 2325 and 2326, which would:
• Require the NRC to cease its current practice of issuing exemptions to emergency response and security requirements for spent fuel at closed nuclear reactors, unless all fuel storage at the site is in dry casks.
• Ensure that host states and communities have a meaningful role in shaping decommissioning plans for retired nuclear plants.
• Require for the first time that the NRC to explicitly and publicly approve or reject each proposed decommissioning plan.
• Ensure operator compliance with the NRC requirement that spent nuclear fuel be removed from pools and placed into dry cask storage within 7 years after the decommissioning plan is submitted to the NRC.
• Provide funding to help reactor licensees implement plans for decommissioning nuclear plants.
• Expand the emergency planning zone for non-compliant reactor operators to 50 miles.
The Boxer-Sanders-Markey bills are classic legislative oversight. They close safety-related loopholes and provide a more accountable and participatory process for affected area residents.
These sensible steps do not in themselves deal with on-site storage design technology or remote site development. But they are in the spirit of comprehensive nuclear waste management, which remains one of America’s largest environmental challenges.
By Gleen Pascall
Sierra Club