z-logo
open-access-imgOpen Access
Final environmental statement related to the operation of Watts Bar Nuclear Plant, Units 1 and 2: Docket Numbers 50-390 and 50-391, Tennessee Valley Authority. Supplement Number 1
Publication year - 1995
Language(s) - English
Resource type - Reports
DOI - 10.2172/61123
Subject(s) - statement (logic) , engineering , bar (unit) , environmental impact statement , civil engineering , environmental science , operations management , geography , law , political science , environmental impact assessment , meteorology
The Final Environmental Statement-Operating License (FES-OL) issued in 1978 represents the Nuclear Regulatory Commission`s (NRC`s) previous environmental review related to the operation of Watts Bar Nuclear (WBN) Plant. The NRC staff has determined that it is appropriate to re-examine the issues associated with the environmental review before issuance of an operating license. The purpose of this NRC review is to discuss the effects of observed changes in the environment and to evaluate the changes in environmental impacts that have occurred as a result of changes in the WBN Plant design and proposed methods of operations since the last environmental review. A full scope of environmental topics has been evaluated, including regional demography, land and water use, meteorology, terrestrial and aquatic ecology, radiological and non-radiological impacts on humans and the environment, socioeconomic impacts, and environmental justice. The staff concluded that there are no significant changes in the environmental impacts since the NRC 1978 FES-OL from changes in plant design, proposed methods of operations, or changes in the environment. The Tennessee Valley Authority`s (TVA`s) preoperational and operational monitoring programs were reviewed and found to be appropriate for establishing baseline conditions and ongoing assessments of environmental impacts. The staff also conducted an analysis of plant operation with severe accident mitigation design alternatives (SAMDAs) and concluded that none of the SAMDAs, beyond the three procedural changes that the TVA committed to implement, would be cost-beneficial for further mitigating environmental impacts

The content you want is available to Zendy users.

Already have an account? Click here to sign in.
Having issues? You can contact us here