Amended Record of Decision: Savannah River Site Salt Processing Alternatives, 3834-3838 [E6-818]
Download as PDF
3834
Federal Register / Vol. 71, No. 15 / Tuesday, January 24, 2006 / Notices
rmajette on PROD1PC67 with NOTICES1
(f) Quality of Evaluation Plan (Total
15 Points).
(g) Budget (Total 8 Points).
2. Review and Selection Process:
Tiebreaker for Development Grants. In
tie-breaking situations for development
grants described in 34 CFR 606.23(b),
the HSI Program regulations require that
we award one additional point to an
application from an IHE that has an
endowment fund for which the market
value per FTE student is less than the
comparable average per FTE student at
a similar type of IHE. We also award one
additional point to an application from
an IHE that had expenditures for library
materials per FTE student that are less
than the comparable average per FTE
student at a similar type IHE.
For the purpose of these funding
considerations, we use 2003–2004 data.
If a tie remains after applying the
tiebreaker mechanism above, priority
will be given in the case of applicants
for: (a) Individual Development Grants
to applicants that addressed the
statutory priority found in section
511(d) of the HEA; and (b) Cooperative
Arrangement Development Grants to
applicants in accordance with section
514(b) of the HEA, if the Secretary
determines that the cooperative
arrangement is geographically and
economically sound or will benefit the
applicant HSI.
If a tie still remains after applying the
additional point(s), and the relevant
statutory priority, we will determine the
ranking of applicants based on the
lowest endowment values per FTE
student.
VI. Award Administration Information
1. Award Notices: If your application
is successful, we notify your U.S.
Representative and U.S. Senators and
send you a Grant Award Notification
(GAN). We may also notify you
informally.
If your application is not evaluated or
not selected for funding, we notify you.
2. Administrative and National Policy
Requirements: We identify
administrative and national policy
requirements in the application package
and reference these and other
requirements in the Applicable
Regulations section of this notice.
We reference the regulations outlining
the terms and conditions of an award in
the Applicable Regulations section of
this notice and include these and other
specific conditions in the GAN. The
GAN also incorporates your approved
application as part of your binding
commitments under the grant.
3. Reporting: At the end of your
project period, you must submit a final
performance report, including financial
VerDate Aug<31>2005
14:44 Jan 23, 2006
Jkt 208001
information, as directed by the
Secretary. If you receive a multi-year
award, you must submit an annual
performance report that provides the
most current performance and financial
expenditure information as specified by
the Secretary in 34 CFR 75.118, 34 CFR
75.720, and in 34 CFR 606.31.
4. Performance Measures: The
Secretary has established the following
key performance measures for assessing
the effectiveness of the HSI Program: (1)
The percentage of full-time
undergraduate students who were in
their first year of postsecondary
enrollment in the previous year and are
enrolled in the current year at the same
institution; (2) The percentage of
students enrolled at 4-year HSIs
graduating within 6 years of enrollment;
and (3) The percentage of students
enrolled at 2-year HSIs graduating
within 3 years of enrollment.
VII. Agency Contacts
For Further Information Contact: J.
Alexander Hamilton, U.S. Department
of Education, 1990 K Street, NW., 6th
Floor, Washington, DC 20006–8513.
Telephone: (202) 502–7583 or by e-mail:
Josephine.Hamilton@ed.gov or Carnisia
Proctor, Telephone: (202) 502–7606 or
by e-mail: Carnisia.Proctor@ed.gov.
If you use a telecommunications
device for the deaf (TDD), you may call
the Federal Relay Service (FRS) at 1–
800–877–8339.
Individuals with disabilities may
obtain this document in an alternative
format (e.g., Braille, large print,
audiotape, or computer diskette) on
request to the program contact person
listed in this section.
VIII. Other Information
Electronic Access to This Document:
You may view this document, as well as
all other documents of this Department
published in the Federal Register, in
text or Adobe Portable Document
Format (PDF) on the Internet at the
following site: https://www.ed.gov/news/
fedregister.
To use PDF you must have Adobe
Acrobat Reader, which is available free
at this site. If you have questions about
using PDF, call the U.S. Government
Printing Office (GPO), toll free, at 1–
888–293–6498; or in the Washington,
DC, area at (202) 512–1530.
Note: The official version of this document
is the document published in the Federal
Register. Free Internet access to the official
edition of the Federal Register and the Code
of Federal Regulations is available on GPO
Access at: https://www.gpoaccess.gov/nara/
index.html.
PO 00000
Frm 00020
Fmt 4703
Sfmt 4703
Dated: January 19, 2006.
Sally L. Stroup,
Assistant Secretary for Postsecondary
Education.
[FR Doc. E6–829 Filed 1–23–06; 8:45 am]
BILLING CODE 4000–01–P
DEPARTMENT OF ENERGY
Amended Record of Decision:
Savannah River Site Salt Processing
Alternatives
Department of Energy (DOE).
Amended record of decision.
AGENCY:
ACTION:
SUMMARY: The Department of Energy
(DOE), pursuant to 10 CFR 1021.315, is
amending its Record of Decision:
Savannah River Site Salt Processing
Alternatives issued on October 17, 2001
(66 FR 52752). At that time the
Department decided to implement the
Caustic Side Solvent Extraction (CSSX)
technology, one of the alternative
technologies evaluated in DOE/EIS–
0082–S2 (Savannah River Site Salt
Processing Alternatives Final
Supplemental Environmental Impact
Statement (SPA SEIS), June 2001) for
separation of the high-activity fraction
from the low-activity fraction of
Savannah River Site (SRS) salt wastes.
DOE has initiated design of the Salt
Waste Processing Facility (SWPF),
which will house the CSSX technology.
Now, using technologies described in
the SPA SEIS, DOE has decided to
change the processing and disposition
pathway for a fraction of the low
activity salt waste currently stored in
the F- and H-Area tank farms. This
action is called Interim Salt Processing.
When the SWPF becomes operational,
the remaining (and by far the majority)
salt waste will be processed through the
SWPF using the CSSX technology as
described in the SPA SEIS; this action
is called High Capacity Salt Processing.
DOE will proceed with this interim
approach because doing so will enable
DOE to continue uninterrupted use of
the Defense Waste Processing Facility
(DWPF) to vitrify higher activity sludge
waste for disposal at a geologic
repository for spent nuclear fuel and
high-level waste. It will also allow DOE
to use SWPF at higher capacity as soon
as it comes on line. This will allow DOE
to complete cleanup and closure of the
tanks years earlier than would otherwise
be the case. That, in turn, will reduce
the time during which the tanks—
including some that do not have full
secondary containment and have a
known history of leak sites—continue to
store liquid radioactive waste. Finally,
Interim Salt Processing will make more
E:\FR\FM\24JAN1.SGM
24JAN1
Federal Register / Vol. 71, No. 15 / Tuesday, January 24, 2006 / Notices
rmajette on PROD1PC67 with NOTICES1
tank space available for routine
operations, thereby reducing the
number of transfers among tanks and
increasing the safety of operations.
Therefore, Interim Salt Processing will
accelerate the reduction of potential risk
to the environment, the public, and
workers.
DOE has prepared a Supplement
Analysis (SA), Salt Processing
Alternatives at the Savannah River Site
(DOE/EIS–0082–S2–SA–01), in
accordance with DOE National
Environmental Policy Act (NEPA)
regulations (10 CFR 1021.314) to
determine whether implementation of
Interim Salt Processing is a substantial
change to the selected CSSX processing
of salt waste or whether there are
significant new circumstances or
information relevant to environmental
concerns such that a supplement to the
SPA SEIS or a new EIS would be
needed. Based on the SA, DOE has
determined that a supplement to the
SPA SEIS or a new EIS is not needed.
FOR FURTHER INFORMATION CONTACT:
Copies of the SPA SEIS and the 2001
Record of Decision are available on
DOE’s NEPA Web site at: https://
www.eh.doe.gov/nepa. Copies of this
amended Record of Decision, and the
SA, will be available on DOE’s NEPA
Web site at: https://www.eh.doe.gov/nepa
under DOE NEPA Documents. To
request copies of these documents,
please contact: The Center for
Environmental Management
Information, P.O. Box 23769,
Washington, DC 20026–3769.
Telephone: 800–736–3282 (in
Washington, DC: 202–863–5084).
For further information regarding the
processing and disposal of salt waste at
the Savannah River Site, or to obtain
copies of the SA discussed herein, or
this amended Record of Decision,
contact: Mr. Andrew R. Grainger,
Savannah River Operations Office, U.S.
Department of Energy, P.O. Box B,
Aiken, SC 29802. Telephone: 803–952–
8001. E-mail: drew.grainger@srs.gov.
For information on DOE’s NEPA
process, contact: Ms. Carol Borgstrom,
Director, Office of NEPA Policy and
Compliance, EH–42, U.S. Department of
Energy, 1000 Independence Avenue,
SW., Washington, DC 20585–0119.
Telephone 202–586–4600, or leave a
message at 800–472–2756.
SUPPLEMENTARY INFORMATION:
I. Background
DOE evaluated the environmental
impacts of construction and operation of
four alternative technologies for salt
waste processing in the SPA SEIS. First,
the concentrated supernate solution and
VerDate Aug<31>2005
14:44 Jan 23, 2006
Jkt 208001
solid saltcake (including the interstitial
liquid) would be combined. The four
salt processing technology alternatives
considered in the SPA EIS all include
initial separation of actinides (including
plutonium and uranium) present in the
salt solution by sorption on
monosodium titanate (MST), followed
by removal by filtration. The separated
actinides would be sent to the DWPF for
vitrification along with the sludge
portion of the tank waste, which would
not be processed through the salt
processing facility. The remaining salt
solution, which would have high
concentrations of cesium (Cs) but very
low concentrations of actinides after the
MST step, would be further processed to
remove most of the Cs.
The alternatives described in the SPA
SEIS differ in the approach for removal
of radioactive Cs from the salt solution.
For each action alternative except Direct
Disposal in Grout, most of the Cs would
be extracted from the salt solution and
incorporated into a vitrified waste form
at the DWPF, along with the sludge
portion of the tank waste and the
actinides extracted in the MST step. The
remaining low-activity salt waste stream
would be sent to the Saltstone
Production Facility, where it would be
combined with grout in a homogeneous
mixture and sent to the Saltstone
Disposal Facility (also referred to as the
Saltstone Vaults) for onsite disposal.
Under the SEIS, all action alternatives
but Direct Disposal in Grout would meet
current permit conditions equivalent to
Class A low-level waste. The Direct
Disposal in Grout alternative would not
meet the permit conditions due to high
Cs concentrations. Under all action
alternatives, the actinide concentration
of the salt waste disposed in the
Saltstone Disposal Facility would not
exceed the Nuclear Regulatory
Commission (NRC) concentration limits
for Class A low-level waste, and would
be about 10 nanocuries per gram.
DOE issued the Final SPA SEIS in
June 2001 and in October 2001 DOE
issued a Record of Decision selecting
the preferred alternative described in
the Final SPA SEIS—CSSX, with MST
for removal of actinides—as the
treatment technology for salt waste.
DOE is currently designing the SWPF
which will house the CSSX and MST
treatment technologies.
The disposal of saltstone waste in the
Saltstone Disposal Facility is subject to
the requirements of section 3116 of the
Ronald W. Reagan National Defense
Authorization Act for Fiscal Year 2005
(NDAA). NDAA section 3116 authorizes
the Secretary of Energy, in consultation
with the NRC, to determine that certain
waste from reprocessing is not high-
PO 00000
Frm 00021
Fmt 4703
Sfmt 4703
3835
level waste and that disposal in a
geologic repository is not required, if it
meets certain criteria. DOE prepared a
Draft section 3116 Determination for
Salt Waste Disposal at the Savannah
River Site in February 2005, and
consulted with the NRC pursuant to
section 3116 of the NDAA. Although not
required by section 3116, DOE made the
draft 3116 Determination available for
public review concurrent with DOE’s
consultation with the NRC.
The NRC consultation process has
been completed. On December 28, 2005,
the NRC issued its Technical Evaluation
Report of the U.S. Department of Energy
Draft section 3116 Waste Determination
for Salt Waste Disposal (TER). The TER
presents information on DOE’s salt
waste processing strategy, the applicable
review criteria, and the NRC’s review
approach, as well as the NRC’s analysis
and conclusions with respect to whether
there is reasonable assurance that DOE’s
proposed approach can meet the
applicable requirements of the NDAA
for determining that waste is not highlevel waste. As noted in its executive
summary, ‘‘Based on the information
provided by DOE to the NRC * * *, the
NRC staff has concluded that there is
reasonable assurance that the applicable
criteria of the NDAA can be met
provided certain assumptions made in
DOE’s analyses are verified via
monitoring.’’ 1
DOE considered the NRC’s TER, as
well as the public comments on the
Draft section 3116 Waste Determination,
before issuing the section 3116 Waste
Determination in January 2006. DOE
also considered whether the comments
on the Draft section 3116 Waste
Determination raise issues or provide
information that would affect the
environmental discussion in the Salt
Processing Alternatives SA and has
determined that they do not.
In the section 3116 Determination for
Salt Waste Disposal at the Savannah
River Site DOE concluded that, as
demonstrated in the section 3116
Determination for Salt Waste Disposal at
the Savannah River Site and in
consideration of DOE’s consultation
with the NRC, the solidified low-activity
salt waste is not high-level waste and
may be disposed of in the Saltstone
Disposal Facility at SRS. DOE also
stated that DOE will continue to take
actions (such as sampling, monitoring,
and ensuring vault inventory limits) to
confirm the ongoing validity of the
Determination and to explore additional
1 NRC also made a number of observations
regarding DOE’s analysis. DOE addressed several
key NRC observations in the Section 3116
Determination for Salt Waste Disposal at the
Savannah River Site.
E:\FR\FM\24JAN1.SGM
24JAN1
3836
Federal Register / Vol. 71, No. 15 / Tuesday, January 24, 2006 / Notices
actions to further enhance the
protection of workers, the public, and
the environment.
rmajette on PROD1PC67 with NOTICES1
Interim Salt Processing and SWPF
Operation 2
Since issuing the SPA SEIS and ROD,
DOE has further considered options to
maintain sufficient tank space to
continue to vitrify sludge waste in the
DWPF in the interim before the SWPF
is operational. Continuing to operate
DWPF will allow DOE to remove and
vitrify sludge waste; prepare salt waste
for treatment and disposal, and empty
waste tanks so they may be closed. All
of these actions will contribute to DOE’s
ability to continue to reduce the human
health and environmental risk inherent
in storage of high volumes of liquid
radioactive waste.
DOE will now process the salt waste
using a two-phase, three-part process.
The first phase (herein referred to as
Interim Salt Processing) will involve
two parts to treat some of the lower
activity salt waste: (1) Beginning in
2006, processing of a minimal amount
of the lowest activity salt waste through
a process involving deliquification,
dissolution, and adjustment (DDA) of
the waste; and (2) beginning in 2007,
processing a minimal amount of
additional salt waste with slightly
higher activity levels using an Actinide
Removal Process (ARP) and a Modular
CSSX Unit (MCU), following
deliquification, dissolution, and
adjustment of saltcake. The second and
longer term phase, herein referred to as
High Capacity Salt Processing, is
identical to the CSSX technology as
presented in the SPA SEIS and will,
beginning in 2011, separate and process
the remaining (and by far the majority)
of the salt waste using the SWPF
(augmented as necessary by ARP). The
second phase will begin as soon as
SWPF is constructed, permitted by the
State of South Carolina, and becomes
operational. The first, interim
processing phase will cease at that time
(except that ARP could be used as
necessary to augment SWPF).3
2 The numbers and percentages in this Amended
Record of Decision are either rounded numbers and
percentages or are DOE’s best estimates at this time.
The numbers, percentages, and dates in this
Amended Record of Decision should be viewed as
approximate numbers, percentages, and dates.
3 The start date for SWPF operations has been
delayed (from 2009 to 2011) to allow for
modification of the SWPF preliminary design to
incorporate a higher degree of performance category
(PC) in the confinement barriers necessary for
worker protection during natural phenomena
hazard events. The Defense Nuclear Facilities
Safety Board initially identified concerns related to
the PC designations of the SWPF in August, 2004.
DOE agreed in November, 2005, to modify the
SWPF design after extensive analysis and review,
VerDate Aug<31>2005
14:44 Jan 23, 2006
Jkt 208001
About 33.8 million gallons (Mgal) of
salt waste are currently stored in
underground waste storage tanks at SRS.
This waste, along with future salt waste
forecasted to be sent to the tank farms,
will be processed through DDA, ARP/
MCU, and the SWPF. DOE estimated in
preparing the Section 3116
Determination that an additional 41.3
Mgal of unconcentrated salt waste
would have been received by the Tank
Farms between December 1, 2004, and
the completion of salt waste processing.
After both liquid removal by processing
through the Tank Farm evaporator
systems and later additions of liquid for
saltcake dissolution and chemistry
adjustments required for processing,
approximately 84 Mgal (5.9 Mgal
existing salt waste through the DDA
process, 1.0 Mgal future salt waste
through the DDA process, 2.1 Mgal
existing and future salt waste through
ARP/MCU, 69.1 Mgal existing salt waste
through SWPF, and 5.9 Mgal future salt
waste through SWPF) of salt solution
will be processed by Interim Salt
Processing and High Capacity Salt
Processing resulting in approximately
168 Mgal of grout output from the
Saltstone Production Facility to be
disposed of in the Saltstone Disposal
Facility.
In terms of curies, implementation of
Interim Salt Processing followed by
High Capacity Salt Processing will
result in onsite disposal of 3.0 to 5.0
million curies (MCi), with the majority
(about 2.8 MCi of 3.0 MCi) resulting
from Interim Salt Processing, in the
Saltstone Disposal Facility. This
represents 1.3 to 2.2 percent of the
approximately 223 MCi in the salt
waste. DOE’s current estimate is that 3.0
resulting in an approximate two year delay in the
planned startup of SWPF. DOE anticipates that it
will continue to explore possible ways to improve
the schedule for design and construction of the
SWPF. It remains DOE’s goal to complete
processing of salt waste through the SWPF by 2019
although this date may need to be modified in the
future. Despite this projected delay, DOE will not
increase the quantity of waste (total curies) to be
disposed of in the Saltstone Disposal Facility, nor
increase the quantities (curies) processed with
interim processes or SWPF from those described
here and in the Draft Section 3116 Determination
for Salt Waste Disposal at the Savannah River Site
and the Section 3116 Determination for Salt Waste
Disposal at the Savannah River Site. Therefore, the
date change does not affect the analyses in the
Section 3116 Determination for Salt Waste Disposal
at the Savannah River Site, its supporting
documents, or the NRC consultation. The modified
schedule is reflected in the Section 3116
Determination for Salt Waste Disposal at the
Savannah River. However, the technical and
programmatic documents that are referenced by the
Section 3116 Determination for Salt Waste Disposal
at the Savannah River Site have not been updated
to reflect this new date because the schedule change
did not occur until after those documents were
completed.
PO 00000
Frm 00022
Fmt 4703
Sfmt 4703
MCi, or 1.3 percent of the total will be
disposed of in the Saltstone Disposal
Facility, and 3.0 MCi is used in this
document. The higher number of 5 MCi
represents uncertainties in the
radiological characterization of the salt
waste.
Deliquification, Dissolution, and
Adjustment, Actinide Removal Process,
and Modular CSSX Unit
These facilities and processes are
described in the Salt Processing
Alternatives SA, and in greater detail in
DOE’s section 3116 Determination for
Salt Waste Disposal at the Savannah
River Site. The DDA process will be the
first interim process used and will be
used to process some of the lowest
activity salt waste from 2006 until 2011
when the SWPF begins operation. The
DDA process will also be used to
prepare waste feed streams for the ARP
and MCU and will operate in parallel
with those facilities.
In 2007, ARP and MCU operations
will be initiated to process slightly
higher activity salt waste. ARP and
MCU will use processes described in the
SPA SEIS (MST treatment and CSSX),
the same technologies that will be
incorporated in the SWPF, which will
process about 98.7 percent of the 223
million curies in salt waste.
The ARP will be comprised of the
actinide removal process that was
described as part of the pilot plant,
which also included a low-capacity
CSSX capability, in the SPA SEIS. In
order to take advantage of existing
infrastructure and minimize
construction costs, DOE will modify
existing SRS facilities 512–S (formerly
the Late Wash Facility) and 241–96H
(formerly the filter building portion of
the In-Tank Precipitation facility). The
MCU will house a low-capacity CSSX
technology, similar to the pilot plant
described in the SPA SEIS. The MCU is
being constructed in the former cold
feeds area of the In-Tank Precipitation
facility. The SA provides further details
of the new and existing facilities and
processes that will be used for Interim
Salt Processing.
Regulatory Requirements
A modification to the Saltstone
Disposal Facility Industrial Solid Waste
Landfill (ISWL) permit, issued by the
South Carolina Department of Health
and Environmental Control (SCDHEC),
will be required prior to implementation
of Interim Salt Processing. The current
Saltstone Disposal Facility ISWL permit
authorizes disposal of waste with
radionuclide concentrations comparable
to Class A low-level waste limits (10
nCi/g) as defined in NRC regulations at
E:\FR\FM\24JAN1.SGM
24JAN1
Federal Register / Vol. 71, No. 15 / Tuesday, January 24, 2006 / Notices
10 CFR 61.55. SCDHEC under its State
wastewater permitting authority issued
the permit. The permit requires DOE to
notify SCDHEC if the characteristics of
wastes to be disposed in the Saltstone
Disposal Facility would change, as will
be the case with the higher
concentrations of radionuclides (about
0.2 Ci/gal rather than about 0.1 Ci/gal,
and about 41 nCi/g actinides rather than
less than 10 nCi/g) in saltstone that will
be disposed when DOE implements
Interim Salt Processing. DOE has
submitted a request for a modification to
the Saltstone Disposal Facility ISWL
permit. The requested modification
would cover waste with concentrations
less than the NRC Class C limits (100
nCi/gm).
rmajette on PROD1PC67 with NOTICES1
II. Decision
DOE has decided to implement
Interim Salt Processing, followed by
High Capacity Salt Processing using the
CSSX technology when the SWPF
becomes operational. DOE will change
the processing and disposition pathway
for a fraction (about 1.3 percent, or
about 3.0 MCi) of the salt waste
currently stored in the F- and H-Area
tank farms. DOE will use the DDA
process to segregate supernate and
interstitial liquid from saltcake in order
to send salt waste with low curie
content (about 2.5 MCi, or about 6.9
Mgal) to the Saltstone Production
Facility, where it will be combined with
chemicals to form a grout matrix and
sent to the Saltstone Disposal Facility.
The waste processed with DDA will,
after solidification, have an average Cs
concentration of about 0.2 Ci/gal and
actinide concentration of about 41 nCi/
g. DOE will also use the DDA process to
dispose of 0.24 Mgal of relatively low
activity salt solution currently stored in
Tank 48. DOE will process this waste
without removal of radionuclides by
combining the stream with another salt
waste stream, currently planned to be
the low-activity liquid recycle waste
stream from the DWPF. About 2.1 Mgal
of salt waste with slightly higher curie
content will be prepared for processing
through the ARP and MCU; about 0.3
MCi, or about 2.1 Mgal, will be disposed
of in the Saltstone Disposal Facility.
When SWPF becomes operational in
about 2011 the CSSX technology will be
used to process the inventory of salt
waste that was not processed during
interim salt processing. DOE expects to
process about 98.7 percent (about 220
MCi) of the salt waste inventory using
the CSSX technology as described in the
SPA SEIS. After processing in the SWPF
waste sent to the Saltstone Disposal
Facility will have a Cs concentration of
VerDate Aug<31>2005
14:44 Jan 23, 2006
Jkt 208001
about 0.1 Ci/gal and actinide
concentration of less than 10 nCi/g.
III. Basis for the Decision
DOE has initiated design of the Salt
Waste Processing Facility (SWPF),
which will house the CSSX technology
selected in the Record of Decision. Now,
using technologies described in the SPA
SEIS, DOE has decided to change the
processing and disposition pathway for
a fraction of the salt waste currently
stored in the F- and H-Area tank farms.
This action is called Interim Salt
Processing. When the SWPF becomes
operational, the remaining salt waste
will be processed using High Capacity
Salt Processing through the SWPF using
the CSSX technology as described in the
SPA SEIS.
If DOE is to be in a position to
continue removal and vitrification of the
high-activity sludge between now and
the startup of the SWPF, including
removing sludge waste from the tanks
that lack full secondary containment,
and to operate the SWPF efficiently after
its construction is complete, DOE must
proceed with Interim Salt Processing.
The only practical way DOE will be able
to move forward with sludge
vitrification without significant
disruption and delay, and assure
efficient operation of the SWPF, is to
use interim salt processing technologies
to remove and dispose of a limited
amount of the salt waste currently in the
tanks during this interim period.
Otherwise, DOE would be forced to
decrease, postpone, and eventually halt
the on-going activities to remove and
stabilize tank waste that currently are
reducing risk to the occupational
workers, the public, and the
environment.
IV. Supplement Analysis
To determine whether the proposed
action warrants a supplement to the
SPA SEIS or a new EIS, DOE prepared
the SA, Salt Processing Alternatives at
the Savannah River Site (DOE/EIS–
0082–S2–SA–01). In the SA DOE
compared the impacts of implementing
Interim Salt Processing followed by
High Capacity Salt Processing to the
impacts of the salt processing
alternatives evaluated in the SPA SEIS.
Using the DDA process from 2006
until about 2011, salt waste with a Cs
concentration of about 0.2 Ci/gal and an
actinide concentration of about 41 nCi/
g, totaling about 2.5 MCi, will be sent
to the Saltstone Production Facility and
then to the Saltstone Disposal Facility.
Salt waste processed through the ARP
and MCU, which will operate from 2007
until the SWPF becomes operational
will have a Cs concentration of about
PO 00000
Frm 00023
Fmt 4703
Sfmt 4703
3837
0.1 Ci/gal and an actinide concentration
comparable to SWPF waste (i.e., less
than 10 nCi/g) after processing, and will
result in about 0.3 MCi processed
through the Saltstone Production
Facility for disposal at the Saltstone
Disposal Facility. These concentrations
are the same as those described in the
SPA SEIS for salt waste processed using
the CSSX technology.
After the SWPF becomes operational
in 2011, waste sent to the Saltstone
Disposal Facility will have
concentrations the same as those
evaluated in the SPA SEIS, until waste
processing is completed. In all,
implementing Interim Salt Processing
followed High Capacity Salt Processing
using the CSSX technology at the SWPF
will result in disposal of about 3.0 MCi,
or 1.3 percent of the total curies
contained in the salt waste, at the
Saltstone Disposal Facility.4
The SA addressed the impacts of the
processing and disposal of higher
concentrations of actinides during
Interim Salt Processing than evaluated
in the Salt Processing Alternatives SEIS.
These higher concentrations will be
found in that fraction of the salt waste
segregated using the DDA process and
sent directly for disposal without
treatment in the ARP and MCU.
For the analysis presented in the SA,
DOE conservatively assumed the entire
salt waste inventory, processed through
the SWPF using the CSSX for the
operating life of the facility, would be
sent to the Saltstone Production Facility
with an actinide concentration of 100
nCi/g, the concentration limit for Class
C waste. However, when Interim Salt
Processing is implemented,
concentrations will be less. That is,
about 41 nCi/g resulting from the DDA
process will be sent to the Saltstone
Production Facility without treatment in
ARP and MCU from 2006 until about
2011 when the SWPF becomes
operational. DOE estimates that only
about 6.8 Mgal or about 6 percent of the
total salt waste inventory will have an
average concentration of about 41 nCi/
g. For the SA analysis DOE used the
same Cs concentration DOE used for the
SPA SEIS. The differences in impacts
4 Due to uncertainties in the characterization of
the salt waste, the total curies disposed could range
up to 5.0 MCi. The uncertainty concerning disposal
of 3.0 MCi or up to about 5.0 MCi is
inconsequential in light of the Direct Disposal in
Grout impacts analysis found in the SPA SEIS. As
explained in the SPA SEIS, the impacts of the
Direct Disposal in Grout alternative are greater than
those of the other alternatives. DOE concluded,
however, that any of the alternatives evaluated,
including Direct Disposal in Grout, could be
implemented with only small and acceptable
environmental impacts.
E:\FR\FM\24JAN1.SGM
24JAN1
3838
Federal Register / Vol. 71, No. 15 / Tuesday, January 24, 2006 / Notices
are therefore attributed solely to the
increased actinide concentration.
rmajette on PROD1PC67 with NOTICES1
Short-Term Impacts
As evaluated in the SPA SEIS, shortterm impacts are incurred during
operation of the salt waste processing
facilities, and long-term impacts are
those resulting from release of disposed
radionuclides from the Saltstone
Disposal Facility. As described in the
SA, differences in short-term impacts
resulting from implementing Interim
Salt Processing followed by SWPF
operation using the CSSX technology
will be small compared to operation of
the CSSX technology as described in the
SPA SEIS. Modifications to the
Saltstone Production Facility were
completed within the existing structure
and result in no new land disturbance.
Impacts from construction of the MCU
will not differ from those described for
the pilot plant in the SPA SEIS. The
existing 512–S and 241–96H facilities
will be modified for the ARP and will
be operated remotely. No adverse
impacts are anticipated from
construction. Implementation of Interim
Salt Processing will not necessitate
changes in the design or operation of the
SWPF.
There is the potential for short-term
impacts to the health of workers and the
public due to radiation doses from
airborne releases of Cs and actinides
from processing activities. For example,
the dose to the maximum exposed
individual would increase from the 0.31
millirem analyzed under the Caustic
Side Solvent Extraction alternative in
the SPA SEIS to 0.58 millirem (due to
increased actinide concentrations in
that portion of the salt waste segregated
using DDA but not treated using ARP
and MCU before disposal). Similar small
increases would occur in involved
worker doses and non-involved worker
doses. The 0.31 millirem dose to the
maximum exposed individual would
result in a probability of a latent cancer
fatality of about 2 chances in 1,000,000
(2.0 × 10¥6). The 0.58 millirem dose to
the maximum exposed individual
would result in a probability of a latent
cancer fatality of about 3.7 chances in
1,000,000 (3.7 × 10¥6).
Long-Term Impacts
In the SA, DOE compares calculated
doses and impacts from the SPA SEIS
(the SWPF using the CSSX technology)
and the increased actinide
concentrations in the Saltstone Disposal
Facility from implementing Interim Salt
Processing followed by SWPF operation.
Three scenarios are used. In the
Agricultural Scenario an individual is
assumed to unknowingly farm and
VerDate Aug<31>2005
14:44 Jan 23, 2006
Jkt 208001
constructs and lives in a permanent
residence on the vaults. At 100 years
post-closure a sufficient layer of soil
would be present over the still-intact
disposal vaults so that the resident
would be unaware that the residence
was constructed over the vaults. At
1,000 years post-closure the saltstone is
assumed to have weathered sufficiently
so that the resident could construct a
residence without being aware of the
presence of the saltstone.
Under the Agricultural Scenario the
doses and latent cancer fatalities
resulting from Interim Salt Processing
followed by SWPF operation using the
CSSX technology increase slightly.
Under the Residential Scenario at 100
Years, impacts from Interim Salt
Processing would be comparable to
Caustic Side Solvent Extraction
analyzed in the SPA SEIS. For the
Residential Scenario at 100 Years doses
are dominated by Cs, which has largely
decayed by 1,000 years post-closure.
When Interim Salt Processing
followed by SWPF operation using the
CSSX technology is implemented, waste
with a concentration of about 41 nCi/g
resulting from the DDA process without
ARP and MCU treatment will be sent to
the Saltstone Disposal Facility until
SWPF becomes operational. Using ARP
and throughout the operating life of the
SWPF, salt waste sent to the Saltstone
Disposal Facility will have actinide
concentrations of 10 nCi/g or less. Longterm impacts will be less than shown in
the SA when DOE implements Interim
Salt Processing followed by SWPF
because the actual inventory of
actinides disposed of in the Saltstone
Disposal Facility will be less than
assumed in the calculation.
V. Conclusions
DOE will process about 98.7 percent
of the salt waste inventory (about 220 of
about 223 MCi) using the CSSX
technology as described in the SPA
SEIS. When SWPF becomes operational
the CSSX technology will be used to
process the inventory of salt waste that
was not processed during interim salt
processing. Interim Salt Processing
followed by High Capacity Salt
Processing through SWPF using the
CSSX technology does not constitute a
substantial change in actions previously
analyzed and does not present
significant new circumstances or
information relevant to environmental
concerns and bearing on the impacts of
DOE’s salt processing and waste
disposal program. Therefore, DOE does
not need to undertake additional NEPA
analysis, and DOE will implement
Interim Salt Processing followed by
High Capacity Salt Processing through
PO 00000
Frm 00024
Fmt 4703
Sfmt 4703
SWPF using the CSSX technology to
relieve tank space limitations and assure
that vitrification of the high-activity
fraction of liquid radioactive waste
(sludge waste) at the Savannah River
Site will continue uninterrupted while
construction of the SWPF is completed.
Issued in Washington, DC, this 17th day of
January 2006.
James A. Rispoli,
Assistant Secretary for Environmental
Management.
[FR Doc. E6–818 Filed 1–23–06; 8:45 am]
BILLING CODE 6450–01–P
DEPARTMENT OF ENERGY
Section 3116 Determination for Salt
Waste Disposal at the Savannah River
Site
Office of Environmental
Management, Department of Energy.
ACTION: Notice of Availability.
AGENCY:
SUMMARY: The Department of Energy
(DOE) announces the availability of a
section 3116 determination for the
disposal of separated, solidified, lowactivity salt waste at the Savannah River
Site (SRS) near Aiken, South Carolina.
Section 3116 of the Ronald W. Reagan
National Defense Authorization Act for
Fiscal Year 2005 authorizes the
Secretary of Energy, in consultation
with the Nuclear Regulatory
Commission, to determine that certain
waste from reprocessing is not highlevel waste (HLW) if it meets the
statutory criteria set forth in Section
3116. The Section 3116 determination
sets forth the basis on which the
Secretary has determined that the salt
waste is not high-level waste because it
(1) does not require permanent isolation
in a deep geologic repository, (2) has
had highly radioactive radionuclides
removed to the maximum extent
practical, and (3) meets the NRC
performance objectives for the disposal
of low level waste. In a separate notice
published in today’s Federal Register,
DOE is also making available the
amended Record of Decision for
Savannah River Site Salt Processing
Alternatives Final Supplemental
Environmental Impact Statement,
originally issued on October 17, 2001
(66 FR 52752).
ADDRESSES: The final determination, as
well as DOE’s responses to the public
comments received on the draft
determination, are available on the
Internet at https://apps.em.doe.gov/swd,
and are publicly available for review at
the following locations: U.S.
Department of Energy, Public Reading
Room, 1000 Independence Avenue,
E:\FR\FM\24JAN1.SGM
24JAN1
Agencies
[Federal Register Volume 71, Number 15 (Tuesday, January 24, 2006)]
[Notices]
[Pages 3834-3838]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E6-818]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Amended Record of Decision: Savannah River Site Salt Processing
Alternatives
AGENCY: Department of Energy (DOE).
ACTION: Amended record of decision.
-----------------------------------------------------------------------
SUMMARY: The Department of Energy (DOE), pursuant to 10 CFR 1021.315,
is amending its Record of Decision: Savannah River Site Salt Processing
Alternatives issued on October 17, 2001 (66 FR 52752). At that time the
Department decided to implement the Caustic Side Solvent Extraction
(CSSX) technology, one of the alternative technologies evaluated in
DOE/EIS-0082-S2 (Savannah River Site Salt Processing Alternatives Final
Supplemental Environmental Impact Statement (SPA SEIS), June 2001) for
separation of the high-activity fraction from the low-activity fraction
of Savannah River Site (SRS) salt wastes. DOE has initiated design of
the Salt Waste Processing Facility (SWPF), which will house the CSSX
technology. Now, using technologies described in the SPA SEIS, DOE has
decided to change the processing and disposition pathway for a fraction
of the low activity salt waste currently stored in the F- and H-Area
tank farms. This action is called Interim Salt Processing. When the
SWPF becomes operational, the remaining (and by far the majority) salt
waste will be processed through the SWPF using the CSSX technology as
described in the SPA SEIS; this action is called High Capacity Salt
Processing.
DOE will proceed with this interim approach because doing so will
enable DOE to continue uninterrupted use of the Defense Waste
Processing Facility (DWPF) to vitrify higher activity sludge waste for
disposal at a geologic repository for spent nuclear fuel and high-level
waste. It will also allow DOE to use SWPF at higher capacity as soon as
it comes on line. This will allow DOE to complete cleanup and closure
of the tanks years earlier than would otherwise be the case. That, in
turn, will reduce the time during which the tanks--including some that
do not have full secondary containment and have a known history of leak
sites--continue to store liquid radioactive waste. Finally, Interim
Salt Processing will make more
[[Page 3835]]
tank space available for routine operations, thereby reducing the
number of transfers among tanks and increasing the safety of
operations. Therefore, Interim Salt Processing will accelerate the
reduction of potential risk to the environment, the public, and
workers.
DOE has prepared a Supplement Analysis (SA), Salt Processing
Alternatives at the Savannah River Site (DOE/EIS-0082-S2-SA-01), in
accordance with DOE National Environmental Policy Act (NEPA)
regulations (10 CFR 1021.314) to determine whether implementation of
Interim Salt Processing is a substantial change to the selected CSSX
processing of salt waste or whether there are significant new
circumstances or information relevant to environmental concerns such
that a supplement to the SPA SEIS or a new EIS would be needed. Based
on the SA, DOE has determined that a supplement to the SPA SEIS or a
new EIS is not needed.
FOR FURTHER INFORMATION CONTACT: Copies of the SPA SEIS and the 2001
Record of Decision are available on DOE's NEPA Web site at: https://
www.eh.doe.gov/nepa. Copies of this amended Record of Decision, and the
SA, will be available on DOE's NEPA Web site at: https://www.eh.doe.gov/
nepa under DOE NEPA Documents. To request copies of these documents,
please contact: The Center for Environmental Management Information,
P.O. Box 23769, Washington, DC 20026-3769. Telephone: 800-736-3282 (in
Washington, DC: 202-863-5084).
For further information regarding the processing and disposal of
salt waste at the Savannah River Site, or to obtain copies of the SA
discussed herein, or this amended Record of Decision, contact: Mr.
Andrew R. Grainger, Savannah River Operations Office, U.S. Department
of Energy, P.O. Box B, Aiken, SC 29802. Telephone: 803-952-8001. E-
mail: drew.grainger@srs.gov.
For information on DOE's NEPA process, contact: Ms. Carol
Borgstrom, Director, Office of NEPA Policy and Compliance, EH-42, U.S.
Department of Energy, 1000 Independence Avenue, SW., Washington, DC
20585-0119. Telephone 202-586-4600, or leave a message at 800-472-2756.
SUPPLEMENTARY INFORMATION:
I. Background
DOE evaluated the environmental impacts of construction and
operation of four alternative technologies for salt waste processing in
the SPA SEIS. First, the concentrated supernate solution and solid
saltcake (including the interstitial liquid) would be combined. The
four salt processing technology alternatives considered in the SPA EIS
all include initial separation of actinides (including plutonium and
uranium) present in the salt solution by sorption on monosodium
titanate (MST), followed by removal by filtration. The separated
actinides would be sent to the DWPF for vitrification along with the
sludge portion of the tank waste, which would not be processed through
the salt processing facility. The remaining salt solution, which would
have high concentrations of cesium (Cs) but very low concentrations of
actinides after the MST step, would be further processed to remove most
of the Cs.
The alternatives described in the SPA SEIS differ in the approach
for removal of radioactive Cs from the salt solution. For each action
alternative except Direct Disposal in Grout, most of the Cs would be
extracted from the salt solution and incorporated into a vitrified
waste form at the DWPF, along with the sludge portion of the tank waste
and the actinides extracted in the MST step. The remaining low-activity
salt waste stream would be sent to the Saltstone Production Facility,
where it would be combined with grout in a homogeneous mixture and sent
to the Saltstone Disposal Facility (also referred to as the Saltstone
Vaults) for onsite disposal. Under the SEIS, all action alternatives
but Direct Disposal in Grout would meet current permit conditions
equivalent to Class A low-level waste. The Direct Disposal in Grout
alternative would not meet the permit conditions due to high Cs
concentrations. Under all action alternatives, the actinide
concentration of the salt waste disposed in the Saltstone Disposal
Facility would not exceed the Nuclear Regulatory Commission (NRC)
concentration limits for Class A low-level waste, and would be about 10
nanocuries per gram.
DOE issued the Final SPA SEIS in June 2001 and in October 2001 DOE
issued a Record of Decision selecting the preferred alternative
described in the Final SPA SEIS--CSSX, with MST for removal of
actinides--as the treatment technology for salt waste. DOE is currently
designing the SWPF which will house the CSSX and MST treatment
technologies.
The disposal of saltstone waste in the Saltstone Disposal Facility
is subject to the requirements of section 3116 of the Ronald W. Reagan
National Defense Authorization Act for Fiscal Year 2005 (NDAA). NDAA
section 3116 authorizes the Secretary of Energy, in consultation with
the NRC, to determine that certain waste from reprocessing is not high-
level waste and that disposal in a geologic repository is not required,
if it meets certain criteria. DOE prepared a Draft section 3116
Determination for Salt Waste Disposal at the Savannah River Site in
February 2005, and consulted with the NRC pursuant to section 3116 of
the NDAA. Although not required by section 3116, DOE made the draft
3116 Determination available for public review concurrent with DOE's
consultation with the NRC.
The NRC consultation process has been completed. On December 28,
2005, the NRC issued its Technical Evaluation Report of the U.S.
Department of Energy Draft section 3116 Waste Determination for Salt
Waste Disposal (TER). The TER presents information on DOE's salt waste
processing strategy, the applicable review criteria, and the NRC's
review approach, as well as the NRC's analysis and conclusions with
respect to whether there is reasonable assurance that DOE's proposed
approach can meet the applicable requirements of the NDAA for
determining that waste is not high-level waste. As noted in its
executive summary, ``Based on the information provided by DOE to the
NRC * * *, the NRC staff has concluded that there is reasonable
assurance that the applicable criteria of the NDAA can be met provided
certain assumptions made in DOE's analyses are verified via
monitoring.'' \1\
---------------------------------------------------------------------------
\1\ NRC also made a number of observations regarding DOE's
analysis. DOE addressed several key NRC observations in the Section
3116 Determination for Salt Waste Disposal at the Savannah River
Site.
---------------------------------------------------------------------------
DOE considered the NRC's TER, as well as the public comments on the
Draft section 3116 Waste Determination, before issuing the section 3116
Waste Determination in January 2006. DOE also considered whether the
comments on the Draft section 3116 Waste Determination raise issues or
provide information that would affect the environmental discussion in
the Salt Processing Alternatives SA and has determined that they do
not.
In the section 3116 Determination for Salt Waste Disposal at the
Savannah River Site DOE concluded that, as demonstrated in the section
3116 Determination for Salt Waste Disposal at the Savannah River Site
and in consideration of DOE's consultation with the NRC, the solidified
low-activity salt waste is not high-level waste and may be disposed of
in the Saltstone Disposal Facility at SRS. DOE also stated that DOE
will continue to take actions (such as sampling, monitoring, and
ensuring vault inventory limits) to confirm the ongoing validity of the
Determination and to explore additional
[[Page 3836]]
actions to further enhance the protection of workers, the public, and
the environment.
Interim Salt Processing and SWPF Operation 2
Since issuing the SPA SEIS and ROD, DOE has further considered
options to maintain sufficient tank space to continue to vitrify sludge
waste in the DWPF in the interim before the SWPF is operational.
Continuing to operate DWPF will allow DOE to remove and vitrify sludge
waste; prepare salt waste for treatment and disposal, and empty waste
tanks so they may be closed. All of these actions will contribute to
DOE's ability to continue to reduce the human health and environmental
risk inherent in storage of high volumes of liquid radioactive waste.
---------------------------------------------------------------------------
\2\ The numbers and percentages in this Amended Record of
Decision are either rounded numbers and percentages or are DOE's
best estimates at this time. The numbers, percentages, and dates in
this Amended Record of Decision should be viewed as approximate
numbers, percentages, and dates.
---------------------------------------------------------------------------
DOE will now process the salt waste using a two-phase, three-part
process. The first phase (herein referred to as Interim Salt
Processing) will involve two parts to treat some of the lower activity
salt waste: (1) Beginning in 2006, processing of a minimal amount of
the lowest activity salt waste through a process involving
deliquification, dissolution, and adjustment (DDA) of the waste; and
(2) beginning in 2007, processing a minimal amount of additional salt
waste with slightly higher activity levels using an Actinide Removal
Process (ARP) and a Modular CSSX Unit (MCU), following deliquification,
dissolution, and adjustment of saltcake. The second and longer term
phase, herein referred to as High Capacity Salt Processing, is
identical to the CSSX technology as presented in the SPA SEIS and will,
beginning in 2011, separate and process the remaining (and by far the
majority) of the salt waste using the SWPF (augmented as necessary by
ARP). The second phase will begin as soon as SWPF is constructed,
permitted by the State of South Carolina, and becomes operational. The
first, interim processing phase will cease at that time (except that
ARP could be used as necessary to augment SWPF).\3\
---------------------------------------------------------------------------
\3\ The start date for SWPF operations has been delayed (from
2009 to 2011) to allow for modification of the SWPF preliminary
design to incorporate a higher degree of performance category (PC)
in the confinement barriers necessary for worker protection during
natural phenomena hazard events. The Defense Nuclear Facilities
Safety Board initially identified concerns related to the PC
designations of the SWPF in August, 2004. DOE agreed in November,
2005, to modify the SWPF design after extensive analysis and review,
resulting in an approximate two year delay in the planned startup of
SWPF. DOE anticipates that it will continue to explore possible ways
to improve the schedule for design and construction of the SWPF. It
remains DOE's goal to complete processing of salt waste through the
SWPF by 2019 although this date may need to be modified in the
future. Despite this projected delay, DOE will not increase the
quantity of waste (total curies) to be disposed of in the Saltstone
Disposal Facility, nor increase the quantities (curies) processed
with interim processes or SWPF from those described here and in the
Draft Section 3116 Determination for Salt Waste Disposal at the
Savannah River Site and the Section 3116 Determination for Salt
Waste Disposal at the Savannah River Site. Therefore, the date
change does not affect the analyses in the Section 3116
Determination for Salt Waste Disposal at the Savannah River Site,
its supporting documents, or the NRC consultation. The modified
schedule is reflected in the Section 3116 Determination for Salt
Waste Disposal at the Savannah River. However, the technical and
programmatic documents that are referenced by the Section 3116
Determination for Salt Waste Disposal at the Savannah River Site
have not been updated to reflect this new date because the schedule
change did not occur until after those documents were completed.
---------------------------------------------------------------------------
About 33.8 million gallons (Mgal) of salt waste are currently
stored in underground waste storage tanks at SRS. This waste, along
with future salt waste forecasted to be sent to the tank farms, will be
processed through DDA, ARP/MCU, and the SWPF. DOE estimated in
preparing the Section 3116 Determination that an additional 41.3 Mgal
of unconcentrated salt waste would have been received by the Tank Farms
between December 1, 2004, and the completion of salt waste processing.
After both liquid removal by processing through the Tank Farm
evaporator systems and later additions of liquid for saltcake
dissolution and chemistry adjustments required for processing,
approximately 84 Mgal (5.9 Mgal existing salt waste through the DDA
process, 1.0 Mgal future salt waste through the DDA process, 2.1 Mgal
existing and future salt waste through ARP/MCU, 69.1 Mgal existing salt
waste through SWPF, and 5.9 Mgal future salt waste through SWPF) of
salt solution will be processed by Interim Salt Processing and High
Capacity Salt Processing resulting in approximately 168 Mgal of grout
output from the Saltstone Production Facility to be disposed of in the
Saltstone Disposal Facility.
In terms of curies, implementation of Interim Salt Processing
followed by High Capacity Salt Processing will result in onsite
disposal of 3.0 to 5.0 million curies (MCi), with the majority (about
2.8 MCi of 3.0 MCi) resulting from Interim Salt Processing, in the
Saltstone Disposal Facility. This represents 1.3 to 2.2 percent of the
approximately 223 MCi in the salt waste. DOE's current estimate is that
3.0 MCi, or 1.3 percent of the total will be disposed of in the
Saltstone Disposal Facility, and 3.0 MCi is used in this document. The
higher number of 5 MCi represents uncertainties in the radiological
characterization of the salt waste.
Deliquification, Dissolution, and Adjustment, Actinide Removal Process,
and Modular CSSX Unit
These facilities and processes are described in the Salt Processing
Alternatives SA, and in greater detail in DOE's section 3116
Determination for Salt Waste Disposal at the Savannah River Site. The
DDA process will be the first interim process used and will be used to
process some of the lowest activity salt waste from 2006 until 2011
when the SWPF begins operation. The DDA process will also be used to
prepare waste feed streams for the ARP and MCU and will operate in
parallel with those facilities.
In 2007, ARP and MCU operations will be initiated to process
slightly higher activity salt waste. ARP and MCU will use processes
described in the SPA SEIS (MST treatment and CSSX), the same
technologies that will be incorporated in the SWPF, which will process
about 98.7 percent of the 223 million curies in salt waste.
The ARP will be comprised of the actinide removal process that was
described as part of the pilot plant, which also included a low-
capacity CSSX capability, in the SPA SEIS. In order to take advantage
of existing infrastructure and minimize construction costs, DOE will
modify existing SRS facilities 512-S (formerly the Late Wash Facility)
and 241-96H (formerly the filter building portion of the In-Tank
Precipitation facility). The MCU will house a low-capacity CSSX
technology, similar to the pilot plant described in the SPA SEIS. The
MCU is being constructed in the former cold feeds area of the In-Tank
Precipitation facility. The SA provides further details of the new and
existing facilities and processes that will be used for Interim Salt
Processing.
Regulatory Requirements
A modification to the Saltstone Disposal Facility Industrial Solid
Waste Landfill (ISWL) permit, issued by the South Carolina Department
of Health and Environmental Control (SCDHEC), will be required prior to
implementation of Interim Salt Processing. The current Saltstone
Disposal Facility ISWL permit authorizes disposal of waste with
radionuclide concentrations comparable to Class A low-level waste
limits (10 nCi/g) as defined in NRC regulations at
[[Page 3837]]
10 CFR 61.55. SCDHEC under its State wastewater permitting authority
issued the permit. The permit requires DOE to notify SCDHEC if the
characteristics of wastes to be disposed in the Saltstone Disposal
Facility would change, as will be the case with the higher
concentrations of radionuclides (about 0.2 Ci/gal rather than about 0.1
Ci/gal, and about 41 nCi/g actinides rather than less than 10 nCi/g) in
saltstone that will be disposed when DOE implements Interim Salt
Processing. DOE has submitted a request for a modification to the
Saltstone Disposal Facility ISWL permit. The requested modification
would cover waste with concentrations less than the NRC Class C limits
(100 nCi/gm).
II. Decision
DOE has decided to implement Interim Salt Processing, followed by
High Capacity Salt Processing using the CSSX technology when the SWPF
becomes operational. DOE will change the processing and disposition
pathway for a fraction (about 1.3 percent, or about 3.0 MCi) of the
salt waste currently stored in the F- and H-Area tank farms. DOE will
use the DDA process to segregate supernate and interstitial liquid from
saltcake in order to send salt waste with low curie content (about 2.5
MCi, or about 6.9 Mgal) to the Saltstone Production Facility, where it
will be combined with chemicals to form a grout matrix and sent to the
Saltstone Disposal Facility. The waste processed with DDA will, after
solidification, have an average Cs concentration of about 0.2 Ci/gal
and actinide concentration of about 41 nCi/g. DOE will also use the DDA
process to dispose of 0.24 Mgal of relatively low activity salt
solution currently stored in Tank 48. DOE will process this waste
without removal of radionuclides by combining the stream with another
salt waste stream, currently planned to be the low-activity liquid
recycle waste stream from the DWPF. About 2.1 Mgal of salt waste with
slightly higher curie content will be prepared for processing through
the ARP and MCU; about 0.3 MCi, or about 2.1 Mgal, will be disposed of
in the Saltstone Disposal Facility. When SWPF becomes operational in
about 2011 the CSSX technology will be used to process the inventory of
salt waste that was not processed during interim salt processing. DOE
expects to process about 98.7 percent (about 220 MCi) of the salt waste
inventory using the CSSX technology as described in the SPA SEIS. After
processing in the SWPF waste sent to the Saltstone Disposal Facility
will have a Cs concentration of about 0.1 Ci/gal and actinide
concentration of less than 10 nCi/g.
III. Basis for the Decision
DOE has initiated design of the Salt Waste Processing Facility
(SWPF), which will house the CSSX technology selected in the Record of
Decision. Now, using technologies described in the SPA SEIS, DOE has
decided to change the processing and disposition pathway for a fraction
of the salt waste currently stored in the F- and H-Area tank farms.
This action is called Interim Salt Processing. When the SWPF becomes
operational, the remaining salt waste will be processed using High
Capacity Salt Processing through the SWPF using the CSSX technology as
described in the SPA SEIS.
If DOE is to be in a position to continue removal and vitrification
of the high-activity sludge between now and the startup of the SWPF,
including removing sludge waste from the tanks that lack full secondary
containment, and to operate the SWPF efficiently after its construction
is complete, DOE must proceed with Interim Salt Processing. The only
practical way DOE will be able to move forward with sludge
vitrification without significant disruption and delay, and assure
efficient operation of the SWPF, is to use interim salt processing
technologies to remove and dispose of a limited amount of the salt
waste currently in the tanks during this interim period. Otherwise, DOE
would be forced to decrease, postpone, and eventually halt the on-going
activities to remove and stabilize tank waste that currently are
reducing risk to the occupational workers, the public, and the
environment.
IV. Supplement Analysis
To determine whether the proposed action warrants a supplement to
the SPA SEIS or a new EIS, DOE prepared the SA, Salt Processing
Alternatives at the Savannah River Site (DOE/EIS-0082-S2-SA-01). In the
SA DOE compared the impacts of implementing Interim Salt Processing
followed by High Capacity Salt Processing to the impacts of the salt
processing alternatives evaluated in the SPA SEIS.
Using the DDA process from 2006 until about 2011, salt waste with a
Cs concentration of about 0.2 Ci/gal and an actinide concentration of
about 41 nCi/g, totaling about 2.5 MCi, will be sent to the Saltstone
Production Facility and then to the Saltstone Disposal Facility.
Salt waste processed through the ARP and MCU, which will operate
from 2007 until the SWPF becomes operational will have a Cs
concentration of about 0.1 Ci/gal and an actinide concentration
comparable to SWPF waste (i.e., less than 10 nCi/g) after processing,
and will result in about 0.3 MCi processed through the Saltstone
Production Facility for disposal at the Saltstone Disposal Facility.
These concentrations are the same as those described in the SPA SEIS
for salt waste processed using the CSSX technology.
After the SWPF becomes operational in 2011, waste sent to the
Saltstone Disposal Facility will have concentrations the same as those
evaluated in the SPA SEIS, until waste processing is completed. In all,
implementing Interim Salt Processing followed High Capacity Salt
Processing using the CSSX technology at the SWPF will result in
disposal of about 3.0 MCi, or 1.3 percent of the total curies contained
in the salt waste, at the Saltstone Disposal Facility.\4\
---------------------------------------------------------------------------
\4\ Due to uncertainties in the characterization of the salt
waste, the total curies disposed could range up to 5.0 MCi. The
uncertainty concerning disposal of 3.0 MCi or up to about 5.0 MCi is
inconsequential in light of the Direct Disposal in Grout impacts
analysis found in the SPA SEIS. As explained in the SPA SEIS, the
impacts of the Direct Disposal in Grout alternative are greater than
those of the other alternatives. DOE concluded, however, that any of
the alternatives evaluated, including Direct Disposal in Grout,
could be implemented with only small and acceptable environmental
impacts.
---------------------------------------------------------------------------
The SA addressed the impacts of the processing and disposal of
higher concentrations of actinides during Interim Salt Processing than
evaluated in the Salt Processing Alternatives SEIS. These higher
concentrations will be found in that fraction of the salt waste
segregated using the DDA process and sent directly for disposal without
treatment in the ARP and MCU.
For the analysis presented in the SA, DOE conservatively assumed
the entire salt waste inventory, processed through the SWPF using the
CSSX for the operating life of the facility, would be sent to the
Saltstone Production Facility with an actinide concentration of 100
nCi/g, the concentration limit for Class C waste. However, when Interim
Salt Processing is implemented, concentrations will be less. That is,
about 41 nCi/g resulting from the DDA process will be sent to the
Saltstone Production Facility without treatment in ARP and MCU from
2006 until about 2011 when the SWPF becomes operational. DOE estimates
that only about 6.8 Mgal or about 6 percent of the total salt waste
inventory will have an average concentration of about 41 nCi/g. For the
SA analysis DOE used the same Cs concentration DOE used for the SPA
SEIS. The differences in impacts
[[Page 3838]]
are therefore attributed solely to the increased actinide
concentration.
Short-Term Impacts
As evaluated in the SPA SEIS, short-term impacts are incurred
during operation of the salt waste processing facilities, and long-term
impacts are those resulting from release of disposed radionuclides from
the Saltstone Disposal Facility. As described in the SA, differences in
short-term impacts resulting from implementing Interim Salt Processing
followed by SWPF operation using the CSSX technology will be small
compared to operation of the CSSX technology as described in the SPA
SEIS. Modifications to the Saltstone Production Facility were completed
within the existing structure and result in no new land disturbance.
Impacts from construction of the MCU will not differ from those
described for the pilot plant in the SPA SEIS. The existing 512-S and
241-96H facilities will be modified for the ARP and will be operated
remotely. No adverse impacts are anticipated from construction.
Implementation of Interim Salt Processing will not necessitate changes
in the design or operation of the SWPF.
There is the potential for short-term impacts to the health of
workers and the public due to radiation doses from airborne releases of
Cs and actinides from processing activities. For example, the dose to
the maximum exposed individual would increase from the 0.31 millirem
analyzed under the Caustic Side Solvent Extraction alternative in the
SPA SEIS to 0.58 millirem (due to increased actinide concentrations in
that portion of the salt waste segregated using DDA but not treated
using ARP and MCU before disposal). Similar small increases would occur
in involved worker doses and non-involved worker doses. The 0.31
millirem dose to the maximum exposed individual would result in a
probability of a latent cancer fatality of about 2 chances in 1,000,000
(2.0 x 10-6). The 0.58 millirem dose to the maximum exposed
individual would result in a probability of a latent cancer fatality of
about 3.7 chances in 1,000,000 (3.7 x 10-6).
Long-Term Impacts
In the SA, DOE compares calculated doses and impacts from the SPA
SEIS (the SWPF using the CSSX technology) and the increased actinide
concentrations in the Saltstone Disposal Facility from implementing
Interim Salt Processing followed by SWPF operation. Three scenarios are
used. In the Agricultural Scenario an individual is assumed to
unknowingly farm and constructs and lives in a permanent residence on
the vaults. At 100 years post-closure a sufficient layer of soil would
be present over the still-intact disposal vaults so that the resident
would be unaware that the residence was constructed over the vaults. At
1,000 years post-closure the saltstone is assumed to have weathered
sufficiently so that the resident could construct a residence without
being aware of the presence of the saltstone.
Under the Agricultural Scenario the doses and latent cancer
fatalities resulting from Interim Salt Processing followed by SWPF
operation using the CSSX technology increase slightly. Under the
Residential Scenario at 100 Years, impacts from Interim Salt Processing
would be comparable to Caustic Side Solvent Extraction analyzed in the
SPA SEIS. For the Residential Scenario at 100 Years doses are dominated
by Cs, which has largely decayed by 1,000 years post-closure.
When Interim Salt Processing followed by SWPF operation using the
CSSX technology is implemented, waste with a concentration of about 41
nCi/g resulting from the DDA process without ARP and MCU treatment will
be sent to the Saltstone Disposal Facility until SWPF becomes
operational. Using ARP and throughout the operating life of the SWPF,
salt waste sent to the Saltstone Disposal Facility will have actinide
concentrations of 10 nCi/g or less. Long-term impacts will be less than
shown in the SA when DOE implements Interim Salt Processing followed by
SWPF because the actual inventory of actinides disposed of in the
Saltstone Disposal Facility will be less than assumed in the
calculation.
V. Conclusions
DOE will process about 98.7 percent of the salt waste inventory
(about 220 of about 223 MCi) using the CSSX technology as described in
the SPA SEIS. When SWPF becomes operational the CSSX technology will be
used to process the inventory of salt waste that was not processed
during interim salt processing. Interim Salt Processing followed by
High Capacity Salt Processing through SWPF using the CSSX technology
does not constitute a substantial change in actions previously analyzed
and does not present significant new circumstances or information
relevant to environmental concerns and bearing on the impacts of DOE's
salt processing and waste disposal program. Therefore, DOE does not
need to undertake additional NEPA analysis, and DOE will implement
Interim Salt Processing followed by High Capacity Salt Processing
through SWPF using the CSSX technology to relieve tank space
limitations and assure that vitrification of the high-activity fraction
of liquid radioactive waste (sludge waste) at the Savannah River Site
will continue uninterrupted while construction of the SWPF is
completed.
Issued in Washington, DC, this 17th day of January 2006.
James A. Rispoli,
Assistant Secretary for Environmental Management.
[FR Doc. E6-818 Filed 1-23-06; 8:45 am]
BILLING CODE 6450-01-P