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2020 NEPA Polychlorinated Biphenyl (PCB) Risk Assessment

Brunell, Sarah B.; Rechard, Robert P.; Hansen, Clifford H.; Wagner, Stephen W.

The Waste Isolation Pilot Plant (WIPP) facility is a U.S. Department of Energy (DOE) operating repository 654 m below the surface in a thick salt formation in southeastern New Mexico. The DOE disposes transuranic (TRU) waste produced from atomic energy defense activities at the WIPP facility. A portion of the waste shipped to the WIPP facility contains TRU radionuclides co-mingled with polychlorinated biphenyls (PCBs), which fall under U.S. Environmental Protection Agency (EPA) regulations implementing the Toxic Substances Control Act (TSCA). This report documents the risks of PCBs co-mingled with TRU waste (hereafter designated as PCB/TRU waste) designated for disposal at the WIPP facility. This analysis is input to the National Environmental Policy Act (NEPA) assessment by the DOE Carlsbad Field Office (CBFO) for the proposed increase of the WIPP facility disposal area to include additional waste panels (but not to increase the legislated WIPP volume). This analysis is not a compliance calculation to support a certification renewal nor does it support a planned change request (PCR) or planned change notice (PCN) to be submitted to the EPA.

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Summary Report for the NEPA Impact Analysis. Revision 1

Zeitler, Todd Z.; Brunell, Sarah B.; Feng, Lianzhong M.; Kicker, Dwayne C.; Kim, Sungtae K.; Long, Jennifer J.; Rechard, Robert P.; Hansen, Clifford H.; Wagner, Stephen W.

The Waste Isolation Pilot Plant (WIPP), located in southeastern New Mexico, has been developed by the U.S. Department of Energy (DOE) for the geologic (deep underground) disposal of defense-related transuranic (TRU) waste. Containment of TRU waste at the WIPP facility is derived from standards set forth in Title 40 of the Code of Federal Regulations (CFR), Part 191. The DOE assesses compliance with the containment standards according to the Certification Criteria in Title 40 CFR Part 194 by means of Performance Assessment (PA) calculations performed by Sandia National Laboratories (SNL). WIPP PA calculations estimate the probability of radionuclide releases from the repository to the accessible environment for a regulatory period of 10,000 years after facility closure. The DOE Carlsbad Field Office (CBFO) has initiated a National Environmental Policy Act (NEPA) action for a proposal to excavate and use additional transuranic (TRU) waste disposal panels at the WIPP facility. This report documents an analysis undertaken as part of an effort to evaluate the potential environmental consequences of the proposed action. Although not explicitly required for a NEPA analysis, evaluations of a dose indicator to hypothetical members of the public after final facility closure are presented in this report. The analysis is carried out in two stages: first, Performance Assessment (PA) calculations quantify the potential releases to the accessible environment over a 10,000-year post-closure period. Second, dose was evaluated for three hypothetical exposure pathways using the conservative radionuclide concentrations assumed to be released to the accessible environment.

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WIPP Case Study - Compliance Monitoring, Passive Institutional Controls, and Record Keeping

Wagner, Stephen W.; Beauheim, Richard L.; Pfeifle, Tom P.; Duran, Grace A.; Williams, Cecelia V.; Williams, Cecelia V.

The WIPP Case Study describes the compliance monitoring program, record keeping requirements, and passive institutional controls that are used to help ensure the Waste Isolation Pilot Plant (WIPP) will safety contain radioactive waste and indicate dangers and location of the wastes. The radioactive components in the waste are regulated by the U.S. Environmental Protection Agency (EPA) while the hazardous components in the waste are regulated by the New Mexico Environment Department (NMED). This paper addresses monitoring relating to radionuclide containment performance, passive institutional controls, and record keeping over a 10,000-year time frame. Monitoring relating to the hazardous components and the associated regulator are not addressed in this paper. The WIPP containment performance is mandated by release limits set by regulation. Regulations also require the radioactive waste containment performance of the WIPP to be predicted by a ''Performance Assessment.'' The EPA did not base the acceptance of the WIPP solely on predicted containment but included additional assurance measures. One such assurance measure is monitoring, which may be defined as the on-going measurement of conditions in and around the repository. This case study describes the evolution of the WIPP monitoring program as the WIPP project progressed through the planning, site characterization, regulatory promulgation, and eventual operational stages that spanned a period of over 25 years. Included are discussions of the regulatory requirements for monitoring, selection of monitoring parameters, trigger values used to identify unexpected conditions, assessment of monitoring data against the trigger values, and plans for post-closure monitoring. The United EPA established the requirements for Passive Institutional Controls (PICs) for disposal sites. The requirements state the a disposal site must be designated by the most permanent markers, records, and other passive institutional controls practicable to indicate the dangers of the wastes and their location. The PIC Task Force assessed the effectiveness of PICs in deterring inadvertent human intrusion and developed a conceptual design for permanently marking the Waste Isolation Pilot Plant (WIPP), establishing records, and identifying other practicable controls to indicate the dangers of the wastes and their location. The marking system should provide information regarding the location, design, contents, and hazards associated with WIPP. This paper discuss these controls including markers, records, archives, and government ownership and land-use restrictions.

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10 Results
10 Results