Saturday
Jun272020
  
  
  
  Beyond Nuclear's public comment #3, re: NRC's Holtec/ELEA CISF DEIS, Docket ID NRC-2018-0052 -- re: complexity and risk of multiple required cask-to-cask canister transfers
Submitted via: <>
Dear NRC Staff,
The  inner  canisters will have to be  transferred (from  on-site storage dry casks,  to radiation shielding/transfer casks, to  transport/shipping casks,  again to   transfer casks, then to CISF storage pits; and then, if  and when  high-level  radioactive wastes are exported to a permanent  repository,  the reverse  process) multiple times. Nowhere in the NRC DEIS is this  complexity, and high risk for something to go wrong, reflected,  admitted, nor analyzed adequately.
Just  the stage of lowering the inner canisters into the CISF storage pits  (VVMs, Vertical Ventilated Modules, in Holtec parlance) could prove  damaging and dangerous. As revealed by a whistle-blower at San Onofre  nuclear power plant in California in August 2018, lowering a 50-ton,  fully-loaded canister into a storage pit there nearly led to an 18-foot  free-fall drop, due to human error. If not for the whistle-blower's  courageous revelation, this incident may never have been made publicly  known. He was made to pay for his courage with his job. But Southern  California Edison would very likely not have ever revealed it. Same for  Holtec. Same for any contractors or sub-contractors involved. And NRC  either didn't even know it had happened, or else was also complicit in  the cover up.
Another  example of potential for damage and danger also comes from San Onofre. A  large number of inner canisters have been significantly gouged while  being lowered into their storage pits. This significantly risks early  failure of these containers, as degradation and corrosion now has a weak  link to attack. Through-wall cracks are all the more likely, all the  sooner, because of this gouging, resulting from Holtec's dangerously  poor design of the UMAX system.
 Making matters worse, NRC is not even  requiring Dry  Transfer Systems (DTS), neither at the nuclear power plant origin sites,  nor at Holtec/ELEA's CISF, nor anywhere in between. So there will be no  way to deal with  failed  fuel or containers, as well  as leaks or contamination, if and when they  occur.
Expert   witness Bob Alvarez, serving Holtec/ELEA opponents, a former senior  advisor to the U.S. Energy  Secretary, has testified in these CISF proceedings that under DOE's  latest Yucca dump plans, targeting Western Shoshone land in NV,  high-level radioactive wastes can only be buried in TADs -- standardized  Transport, Aging, and Disposal containers specially designed for use at  the Yucca dump. This would require dividing up the contents of 10,000  containers at Holtec/ELEA's CISF into 80,000 smaller TADs. Nowhere is  this addressed  in the Holtec ER, nor the NRC DEIS. And yet both Holtec and NRC assume  Yucca will be the ultimate dump, itself an outrage, as Ian Zabarte,  Principal Man of the Western Bands of the Shoshone Indians, and  secretary of the Native Community Action Council, testified on the June  23, 2020 webinar/call-in public comment meeting. He made clear the  Western Shoshone hold title to Yucca Mountain, as acknowledged by the  U.S. government when it signed the "peace and friendship" Treaty of Ruby  Valley in 1863. 
That Holtec container to TAD container repackaging process described above will have significant risks  and potential impacts for health, environment, and safety, and yet  could not be done without a DTS. The entire complex, high risk subject  matter area is missing from NRC's Holtec CISF DEIS, another violation of  NEPA's "hard look" requirement, and even a violation of the Atomic  Energy Act, given the inherent, large safety risks.
I  submit these comments on behalf of our members and supporters in New  Mexico, as well as along the transport routes in most states who would  be impacted by this dangerous, unnecessary proposal.
Please acknowledge receipt of these comments. Thank you.





 June 27, 2020
June 27, 2020