Emergency Planning: DNA Letter to Durham Regional Council

<DNA Logo>
May 27, 2014.

Re: Emergency Planning in Durham Region

Durham Region Councillors & Regional Chair:

We are deeply concerned that Durham Region is unprepared to adequately protect its citizens in the event of a major accident at the Pickering or Darlington nuclear stations.

Durham Nuclear Awareness (DNA) asks you as our regional representatives to take action to actively engage the citizens of Durham Region to ensure that our off-site nuclear emergency plans are designed to:

• protect the public in the event of a major accident
• meet international best practices, and further and very importantly
• be understood by the citizens of Durham Region.

As you may know, Ontario Power Generation (OPG) is cooperating with an array of regional, provincial and federal agencies to conduct a three-day emergency exercise at the Darlington Nuclear Generating Station between May 26th and 28th.

While somewhat useful, we worry this may be used as a public relations exercise to paper over the lack of public review of our nuclear emergency plans since the Fukushima accident in 2011.

DNA members have been calling on our federal, provincial and municipal authorities to publicly update our off-site nuclear emergency plans since 2012.

We have repeatedly stated that the planning basis for current off-site emergency plans addresses only small-scale accidents. This leaves Durham Region unprepared for a major accident at Darlington or Pickering.

To be better protected, we need to update the planning basis of our off-site emergency plans to address major accidents. Changing this key assumption will impact the scale and scope of the protective measures that need to be in place.

DNA members have raised this concern with the Canadian Nuclear Safety Commission (CNSC) – both during the public review of OPG’s proposal to extend the life of the Darlington nuclear station in 2012 – and again at the relicensing hearings of the Pickering nuclear station in 2013, but our concern has not been addressed.

Notably, a federal court has recently validated DNA’s concerns. The Toronto Star reports that Justice James Russell found the federal panel that reviewed OPG’s proposal to build new reactors at Darlington “…should have done more analysis of the possibility of an unlikely but catastrophic accident at the nuclear site…The accident risk should be weighed while the decision is still in the hands of the politicians, he ruled, not left solely to regulatory authorities.”1

Judge Russell’s ruling highlights an important weakness of emergency preparedness in Durham Region: OPG and government agencies have for too long failed to consider the impacts of major accidents. As a result, public and elected officials are deprived of the information necessary to make the decisions needed to better protect the public.

All this is to say, DNA is concerned that our government authorities have become complacent. We write to you now because we feel these authorities require firm direction and scrutiny from Durham Region’s democratically elected representatives.

DNA has also repeatedly raised concerns about inadequate emergency planning at meetings of the Durham Nuclear Health Committee (DNHC), but have seen no meaningful response.

Citizens in Durham Region (and the surrounding Greater Toronto Area, which also stands to be much affected in the event of a serious accident at either of Durham’s nuclear plants) deserve reassurance that plans for a nuclear emergency in the shadow of Pickering and Darlington will be reviewed and meet international best practices.

We should not pretend a major nuclear accident cannot happen here.

As Toshimitsu Homma of the Japan Atomic Energy Agency stated at an April 2013 international conference on Emergency Management held in Ottawa, the most important lesson of Fukushima was that before the accident, “There was an implicit assumption that such a severe accident could not happen and thus insufficient attention was paid to such an accident by authorities.”

DNA urges you to publicly review and consult on the adequacy of our off-site nuclear plans by engaging Durham citizens in a public discussion on these matters affecting public health and safety. DNA members would be happy to meet with any of you to discuss this further.

Respectfully submitted,

Janet McNeill
On behalf of Durham Nuclear Awareness (DNA)

1 Cited in John Spears, “New reactor plan needs more work, court tells OPG,” the Toronto Star, May 15, 2014.

Cc.
• All municipal Councils in Durham Region
• Durham Emergency Management Office (DEMO)
• Durham Nuclear Health Committee (DNHC)
• Emergency Management Ontario, Ministry of Community Safety & Correctional Services
• Provincial MPPs
• Joe Dixon (Ajax-Pickering)
• John O’Toole (Durham)
• Helena Jaczek (Oak Ridges-Markham)
• Jerry Ouellette (Oshawa)
• Tracy MacCharles (Pickering-Scarborough East)
• Bas Balkissoon (Scarborough-Rouge River)
• Christine Elliott (Whitby-Oshawa)

Emergency Planning in Durham Region: Media Summary

Pickering Relicensing Hearing: 7 Key Submissions

** Important! The transcript of the hearing is now available on the CNSC (Canadian Nuclear Safety Commission) Web site, here.
7 Heavy-Duty Submissions to Canadian Nuclear Safety Commission Pickering Relicensing Hearing (May 7/14.)

** Click on each person’s name to see her/his submission.

Dr. Gordon Edwards of the Canadian Coalition for Nuclear Responsibility (CCNR) warns the Great Lakes could be seriously contaminated by a Pickering nuclear accident, given the problems with enormous volumes of radioactive water leaking from Fukushima. He cites Hydro-Québec President Thierry Vandal’s 2013 testimony in Québec’s National Assembly: “I would no more operate Gentilly-2 beyond 210,000 hours than I would climb onto an airplane that does not have its permits and that does not meet the standards. So, it is out of question for us to put anyone – i.e. us, the workers, the public, or the company – in a situation of risk in the nuclear domain. So this deadline of 210,000 hours, this is a hard deadline.’’ Dr. Edwards remarks that at public hearings CNSC senior staff always seems to support the licensee, never asking them hard questions: “It almost seems like a tag-team effort – whatever one party says, the other party promptly reinforces.” Edwards also deplores the fact that the CNSC disregards constructive suggestions aimed at reducing the nuclear risk by Dr. Sunil Nijhawan and Dr. Frank Greening, nuclear reactor specialists with over 20 years of experience in the nuclear safety field.

Dr. Michel Duguay holds a PhD in nuclear physics from Yale University and is a professor in the Department of electrical and computer engineering at Laval University. Duguay argues that OPG and CNSC staff are not in full compliance with Article 9 of the Nuclear Safety and Control Act (NSCA) of 1997. On 1 August 2013, in a letter to Honorable Joe Oliver, Duguay and 15 cosigners argued that the annual probability of a severe accident in the greater Toronto area is 100 times larger than the probability of a frequent flyer dying in a commercial airline flight. This situation does not comply with article 9(a) of the Act. Moreover article 9(b) is not complied with because OPG and CNSC do not inform the public in an objective scientific manner about the uncertainties that accompany their calculations of reactor accident probabilities. Duguay points out that OPG & CNSC do not have all the necessary information. For example, many of the hundreds of high-pressure “feeder pipes” have not been inspected, although it is known that corrosion could cause them to rupture, triggering a nuclear emergency. Neither OPG nor CSNC can give scientific information on those non-inspected feeder pipes because they do not have it.

Dr. Frank Greening senior research scientist retired from OPG, explained in his submission that OPG has used fault-tree software to carry out its “Probabilistic Risk Assessments (PRAs),” but has failed to disclose the methodology used to estimate the numerical inputs, to validate the computer programs and to quantify the many large uncertainties in the analysis. Moreover OPG did not disclose its new PRAs (obtained with post-Fukushima enhancements) until 29-30 April, seven days after the deadline for public intervention, and seven days before the May 7 public hearing. This is clearly unacceptable to anyone outside OPG who wishes to provide input into an informed decision on the continued operation of Pickering NGS – and this evidently includes the Commissioners themselves – thereby undermining the rationale for holding Public Hearings.

Theresa McClenaghan, representing the Canadian Environmental Law Association (CELA), filed her May 2013 paper titled “Emergency Planning at the Pickering Nuclear Generating Station.” She argues that previous experience with the Chernobyl and Fukushima nuclear catastrophes shows that wide-ranging measures must be taken by municipalities and by the Province of Ontario in order to protect the health of citizens in case of a severe nuclear accident releasing large quantities of radioactive elements. Both OPG and the CNSC now acknowledge that such accidents could take place. CELA argues that the combined population of Pickering and neighboring cities, including Toronto, is so huge that a large-scale evacuation could not be carried out quickly enough to ensure adequate protection of men, women and children. Theresa McClenaghan states: “CELA recommends to the CNSC that it deny its operating licence to operate the Pickering reactors beyond their design life unless and until serious, capable, detailed offsite emergency planning for catastrophic accidents is finally in place.”

Chris Rouse, representing New Clear Free Solutions, is an Engineering Technologist with a keen eye for details. He argues that the PRA methodology used by OPG and accepted by CNSC Staff is not following best practice, or even the guidance documents referenced in OPG’s licence. He says OPG is dodging its responsibility for making a number of important safety improvements, such as installing a filtered vent – as other Canadian reactors have done – capable of filtering out 99% of the radioactivity in the event of a severe accident. As Rouse notes, Canada has an international obligation under the UN Convention on Nuclear Safety to either make improvements or shut the reactors down when safety limits are not met. Rouse highlights safety culture issues within CNSC and OPG similar to the institutional deficiencies that led to the Fukushima disaster.

Shawn-Patrick Stensil, spokesman for Greenpeace, filed a paper entitled “An Inconvenient truth: Pickering Exceeds Safety Limits.” Last year Stensil and other interveners convinced the CNSC Commissioners to suspend consideration of OPG’s request unless a convincing safety case can be presented at the May 7 Hearing. One year later, Stensil argues that OPG is still unable to satisfy basic safety criteria and strongly underestimates the probability of a severe nuclear accident that would release large amounts of radioactive elements into the environment. He urges the Commissioners to act in a precautionary manner by not allowing these six reactors to operate beyond the 210,000 hours that had been previously established as a safety limit.

Anna Tilman, representing the International Institute of Concern for Public Health (IICPH), in a paper reviewed by Dr. Gordon Albright, documents several technical problems of the CANDU reactors that could initiate a severe nuclear accident if the 210 000 hour limit is exceeded. Corrosion problems plague the many kilometers of pipes needed to cool the reactors. IICPH points out that OPG’s probabilistic risk assessment (PRA) calculations are of dubious validity because of the large uncertainties associated with corrosion. The paper concludes: “Ignoring the potential risks of a major accident is contrary to the precautionary principle, which requires a project to err on the side of caution, especially where there is a large degree of uncertainty, or the risk of very great harm. To risk the mass destruction of people, property, and the natural environment that a serious accident at Pickering would cause, is completely unacceptable.”

** note: Dr. Edwards has issued an amended statement:

Opposition Grows to ‘Nuclear Gambling’ at Pickering
Correction re. Argentina’s “Embalse” reactor

In a recent CCNR e-mail posting on May 6, 2014, entitled “Opposition Grows to ‘Nuclear Gambling’ at Pickering,” it was stated that “CANDU reactors around the world — those at Bruce (8), Quebec (1), New Brunswick (1), Korea (4) and Argentina (1) — have been required to shut down permanently” before reaching 210,000 hours of full-power operation unless far-reaching safety improvements are made first, including the total replacement of all small-diameter pipes in the core cooling system.

It turns out that one of the 15 CANDU reactors referred to — the one at Embalse in Argentina — has been given permission to operate up to 220,000 hours before shutting down for a complete safety makeover (“refurbishment”), including replacing all its degraded pipes and tubes. So the sweeping statement that was made in the May 6 CCNR e-mail about ALL CANDU reactors being limited to 210,000 hours for safety reasons was incorrect; there is, in fact, one exception.

Note, however, that the extra 10,000 hours allowed to the Embalse Reactor’s operation amounts to less than one and a half extra years (actually it is one year and five months) if we assume an 80% capacity factor. And it is also important to note that complete refurbishment of the Embalse reactor is still required, and still planned, even if it is delayed by about one and a half years.

The situation is quite different with the four Pickering B reactors just outside of Toronto.

Ontario Power Generation (OPG) is asking for permission to operate these geriatric Pickering reactors until 247,000 hours, without EVER doing a refurbishment — not now, and not in the future. That extra 37,000 hours, beyond the 210,000-hour safety limit, corresponds to an extra 4 years and 3 months of full-power operation, or 5 years and 3 months of operation at 80% capacity.

OPG does not deny that a Core Damage Accident at one or more of these reactors is possible, and that a Large Release of Radioactivity in such an event is also possible, but they argue that the “probability” of such a disaster is sufficiently low that it should be permissible to “roll the dice”. (In mathematical probability theory, any probabilistic event can be simulated by rolling a sufficiently large number of dice.)

During the May 7, 2014, hearing before the CNSC, however, OPG experts were unable to demonstrate that the probability of such a disaster is actually low enough to satisfy the regulations that have been laid down for such events. Astonishingly, OPG’s experts told the Commissioners that they are confident that the probability does in fact meet those regulations, even though they are unable to carry out any analysis to verify that such is the case. Evidently OPG is drifting from a science-based approach to a hunch-based belief system. It remains to be seen whether the CNSC will allow such wooly thinking to prevail.

So the question remains. Is it worth gambling with the long-term viability of Toronto and the Great Lakes just so that OPG can keep operating these aging Pickering reactors for another few years, when there is plenty of surplus hydro-power in Quebec and Manitoba that could be purchased at less cost?

May 7th Pickering Relicensing Hearing: details

The May 7th hearing at CNSC headquarters in Ottawa, at which Canadian Nuclear Safety Commission (CNSC) tribunal members will hear from proponent Ontario Power Generation (OPG) and CNSC staff, will not allow for members of the public to speak.
Only written submissions from the public, at this public hearing.

You can watch the hearing live, via Webcast. Go here. Agenda here.

To see the submissions from the approximately 50 individuals and organizations that have taken the time to “intervene” on this hearing, you may go to this page on the CNSC Web site, & request that submissions be sent to you via email (or in hard copy).

There are many excellent submissions, some of them from individuals whose technical understanding of nuclear complexities is both extensive and impressive.

DNA Supplementary Submission

April 30, 2014.
Secretariat

Canadian Nuclear Safety Commission
280 Slater St., P.O. Box 1046

Ottawa, Ontario K1P 5S9.

Members of the CNSC Tribunal:

This is a supplementary submission from Durham Nuclear Awareness (DNA) regarding the Ontario Power Generation (OPG) proposal to allow the reactors at the Pickering Nuclear Generating Station to continue running beyond their planned design life.

DNA has recently learned that OPG has submitted plans to the Ontario Energy Board (OEB) regarding plans to run the Pickering reactors not just beyond 210,000 hours and up to 247,000 EFPH (Effective Full Power) hours, but up to 261,000 hours.

And, in a recent statement to a Pickering newspaper, OPG Director of Nuclear Regulatory Affairs Robin Manley stated that the pressure tubes could probably run to 300,000 hours.(1)

It appears that Ontario Power Generation has been anything but transparent about its actual plans for the aging Pickering reactors.

Not transparent with the public, who must resort to Freedom of Information requests to obtain information. Not transparent with the Council of the City of Pickering.

Perhaps not transparent with the Canadian Nuclear Safety Commission?

There is a colloquial German expression about slicing salami. Does OPG intend to keep coming back, over and over again, for another 5-year “slice?”

How far and how long will OPG staff go to keep milking this cash cow, before being reined in?

DNA Objections

We have reviewed many of the submissions CNSC has received from members of the public.

It is not “merely” “uninformed” members of the public with vague fears about the possibility of a nuclear accident on the eastern border of the City of Toronto.

CNSC has received a host of submissions that lay out a plethora of safety-related problems with the current and projected operations at the Pickering Nuclear Generating Station.

We need not repeat here the arguments about deficiencies with Probabilistic Safety Assessments, or the many technical problems and potential problems with the PNGS that have been very well and thoroughly laid out for you by technically knowledgeable members of the public.

While DNA does not profess to possess technical expertise, many intervenors do possess such knowledge. We are thankful to them for helping to further our own understanding.

And then, to repeat, there is the issue of OPG’s credibility and transparency. Or lack thereof.

Notable Comments from Other Experts

Former CNSC tribunal head Linda Keen attempted to ensure that emergency preparedness at the PNGS be closely studied and improved upon.(2) Ms. Keen was fired for her efforts to protect Canadians.

Toshimitsu Homma, a member of the Japanese delegation from the Japan Atomic Energy Agency, stated at an international conference in Ottawa in 2013 that the most notable lesson from the Fukushima disaster is that, before the accident, “There was an implicit assumption that such a severe accident could not happen and thus insufficient attention was paid to such an accident by authorities.”(3)

It is imperative that all nuclear operators and regulators learn from this experience!

Nuclear expert Arnie Gundersen recently commented in an interview, “…What part of Fukushima don’t you understand? If you don’t make the modifications [regarding safety & emergency planning] you run the risk of destroying the fabric of a country. It happened at Chernobyl, and it’s happening right now in Japan…”(4)

Finally, in the book Flirting with Disaster, author Marc Gerstein stated “… reasonable people, who are not malicious, and whose intent is not to kill or injure other people, will nonetheless risk killing vast numbers of people. And they will do it predictably, with awareness … They knew the risks from the beginning, at every stage … The leaders chose, in the face of serious warnings, to consciously take chances that risked disaster … Men in power are willing to risk any number of human lives to avoid an otherwise certain loss to themselves, a sure reversal of their own prospects in the short run.”(5)

CNSC Tribunal’s Responsibility

Members of the CNSC tribunal have been asked publicly, at a public hearing, whether any of you live near a functioning nuclear generating station. Apparently, none of you do. Does this mean that tribunal members are able to view the possibility of a nuclear accident as merely “academic”?

To the people of Durham Region, of nearby Toronto, of the entire Greater Toronto Area, in fact, such concerns are anything but academic.

The outcome for millions of people, and the drinking water supply of millions on both sides of the Canada/U.S. border, are simply unthinkable.

The dangers of pushing aging nuclear reactors beyond their design life have, as previously stated, been thoroughly laid out for you in an impressive stack of thorough, well-thought-out submissions.

Conclusion

If Hydro Québec(6), CANDU creator Atomic Energy of Canada Ltd.(7), and a long list of articulate and knowledgeable intervenors in this hearing process agree that pushing reactors beyond 210,000 hours of operational life is simply too much of a gamble, Durham Nuclear Awareness can only concur – and so must CNSC.

We reiterate our request from our original, April 22nd submission.

CNSC must act to shut down the Pickering reactors now – before there is a nuclear disaster in the Greater Toronto Area.

Sincerely,

Janet McNeill, spokesperson for
Durham Nuclear Awareness

FOOTNOTES:
1. Pickering News-Advertiser April 29/14.
2. Toronto Star March 18/11.
3. CELA Submission May 3, 2013. Page 18.
4. Interview on Fairewinds Energy Education Web site.
5. Quoted in the Greenpeace report Lessons from Fukushima, on-line here
6. “When we shut down the plant, we were almost there, within a few hours, having run the plant for 198 000 hours since the very beginning. These are the hours of operation at full power. It is a measure of ageing, if you will, of the plant components. So for how many hours could we continue to operate from a safety point of view? I can tell you that Hydro Quebec’s management in no way would have considered to go beyond 210 000 hours even if it was made possible. I would no more operate Gentilly-2 beyond 210 000 hours than I would climb onto an airplane that does not have its permits and that does not meet the standards. So it’s out of question for us to put anyone, i.e., us, the workers, the public and the company in a situation of risk in the nuclear domain.” — Thierry Vandal, Jan. 29/2013, head of Hydro Québec, quoted in Michel Duguay submission to Pickering NGS relicensing “hold point” hearing, Pg. 14.
7. Frank Greening submission to Pickering NGS relicensing “hold point” hearing, March 5, 2014, Pg. 6.

DNA Submission on Pickering “Hold Point” Hearing

April 22, 2014.
Secretariat

Canadian Nuclear Safety Commission
280 Slater St., P.O. Box 1046

Ottawa, Ontario K1P 5S9.

Members of the CNSC Tribunal:

This is the written submission from Durham Nuclear Awareness (DNA) regarding the Ontario Power Generation (OPG) proposal to allow the Pickering Nuclear Generating Station reactors to continue running beyond their planned design life.

Durham Nuclear Awareness

    DNA is a small Durham Region citizens’ group that works to help fellow Durham Region residents understand issues surrounding the continued operation of Durham’s nuclear generating stations. DNA has made interventions at CNSC licensing hearings for both Pickering and Darlington NGS, and also on the Deep Geologic Repository project proposed for the community of Kincardine, on Lake Huron.

    Pickering Relicensing Hearing – 2013

    In 2013 DNA received funding from CNSC and hired as an expert Fairewinds Associates Chief Engineer Arnie Gundersen to review OPG’s proposal for the relicensing of the Pickering reactors.

    Mr. Gundersen laid out in detail the challenges and problems inherent in the design and operations of CANDU reactors. He quoted at some length Canadian nuclear scientist Dr. F.R. Greening, who has stated “CANDU was destined to run into difficulties due to the complexity of its design.”(1) Further, “The CANDU reactor was always an experimental venture; it has had its successes and was probably a worthwhile undertaking because it added to our understanding of nuclear science and engineering. However, it is time to declare the CANDU experiment over, and move on to something simpler, something proven, something better.” (2)

    In addition, Gundersen explained the issue of the “positive void coefficient of reactivity,” a feature of CANDU reactors that is similar to that of the Chernobyl RBMK reactor in presenting extra risks in the event of an accident involving loss of coolant. He adds that this means the CANDU cannot “meet international expectations for a
more passively safe nuclear reactor design.”(3)

    The report commissioned for DNA details many risks and failings in the plans made by OPG to keep Pickering’s aging reactors running past their time.

    Mr. Gundersen concludes in his report “Given the potential risk to the Toronto area and the 4 million people residing there, it is my expert opinion that the ongoing operating uncertainties are significant and do not warrant substantially risking public and safety in order to extend the life of old and outdated reactors like those at the Pickering Nuclear Generating Station. Quite simply, nuclear plants like those at Pickering should not be allowed to operate based upon mysterious unfounded calculations or operating confidence levels as low as 70%. While both OPG and CNSC claim that extending the life of the Pickering Nuclear Generating Station is based upon hard data and pure scientific analysis, it appears that there is a considerable amount of guesswork underlying each organization’s calculations.”(4)

    In August 2013 CNSC released its Record of Proceedings, granting OPG the requested 5-year license, but establishing a “hold point” requiring OPG to produce important information establishing reactor safety.

    Pickering Relicensing Hearing – 2014

    Now the time for the “hold point” hearing has come. CNSC has chosen to downgrade the level of public participation and transparency for this hearing. There is no funding for third-party experts to assess OPG’s submission and claims, and the May 7th hearing, to take place in Ottawa, is for written submissions only. It is challenging for members of the public to perceive the tribunal as being genuinely interested in assessing as much information and input as possible, given the limitations that have been placed on the hearing process.

    DNA Demands Denial of License

    For the following reasons, Durham Nuclear Awareness demands that the Canadian Nuclear Safety Commission deny Ontario Power Generation its request to push these aging reactors beyond the limits for which they were designed.

    1. Aging reactors are inherently at much higher risk of breakdown. These reactors are among the oldest operating nuclear reactors on the planet.
    2. CANDU reactors by design have limitations that ensure the impossibility of making any kind of airtight assurances about safety.
    3. The multi-unit design of the Pickering reactors makes them more vulnerable to radiation releases than the Fukushima reactors, a simply unacceptable state of affairs at any time; even more so as the reactors enter previously dangerous, uncharted territory due to their advanced age.
    4. The proximity of the PNGS to Canada’s largest city and primary economic engine makes the idea of continuing to run these aging reactors unacceptable.
    5. The lack of adequate emergency planning is by itself alone sufficient reason to close the PNGS immediately. To even contemplate the possible evacuation of vast numbers of citizens in the Greater Toronto Area – for uncertain and perhaps indefinite lengths of time – is beyond the ability of rational human thought – or indeed, existing plans.
    6. Lake Ontario provides drinking water to millions of Ontarians. The quality of Lake Ontario water is already severely compromised by agricultural, industrial and nuclear activities. A nuclear accident would however leave millions with no safe source of drinking water at all. This is unthinkable.
    7. The energy produced by the Pickering reactors is not even required. Excess energy is currently being sold off at a loss.
    8. Ontario Power Generation has failed to produce the revised risk assessment and revised accident report that CNSC demanded. The attitude of OPG appears to be that the public must simply trust their intention to make plans for “concept-level methodology” and “an estimated timeline for detailed methodology and the whole-site PSA.” While this response has apparently satisfied CNSC staff (who say they find this “acceptable” and that risks to the public are “reasonably low”) what it amounts to is saying to the public, “Just trust us!” This is utterly unsatisfactory.

    Conclusion

    Each of the eight reasons outlined above is sufficient justification by itself to shut down the Pickering reactors. Collectively, they render the conclusion inescapable that the Canadian Nuclear Safety Commission must act decisively, as its mandate demands, “to protect the health and safety of Canadians, as well as our environment.”

    CNSC must act to shut down the Pickering reactors now – before there is a nuclear disaster in the Greater Toronto Area.

    Sincerely,

    Janet McNeill, spokesperson for
    Durham Nuclear Awareness

    FOOTNOTES:

    1. Fairewinds Associates, Inc. submission to CNSC, April 29/13. Page 8
    2. Page 8
    3. Page 4
    4. Page 11

Pickering Council Motion – April 22/14.

The Council of the City of Pickering passed the following motion unanimously on April 22, 2014:
WHEREAS the Pickering B reactors located at the Pickering Nuclear Generating Station will reach the end of their design lives this year; however Ontario Power Generation (OPG) have applied to operate them until 2020; AND

WHEREAS Durham Nuclear Awareness (DNA) acquired funding to hire Arnold Gundersen of Fairewinds Associates to analyze OPG’s safety case for Pickering in 2013. Mr. Gundersen concluded there was insufficient information to approve the life-extension of the Pickering B nuclear reactors.

WHEREAS the Canadian Nuclear Safety Commission (CNSC) approved a 5-year operating license to OPG, but required that it submit a full safety case for a public hearing before it could run the station beyond its design life; AND

WHEREAS Durham Nuclear Awareness maintain that the studies and information requested of OPG to provide at the 2013 CNSC relicensing hearings, have yet to be released to the public for review.

NOW THEREFORE BE IT RESOLVED that City of Pickering Council request the CNSC and OPG to provide a higher level of transparency when discussing the potential for extended operations at the Pickering Nuclear Generating Station past its end of life design. This includes (but not limited to) proactively releasing to the public in a timely fashion, any and all studies and documents providing OPG’s safety case to extend the operation in Pickering.

AND that OPG is required to hold annual public meetings to report on the safety of the facility, where the public has an opportunity to ask questions and be provided with appropriate responses. And that prior to these annual public meetings being held, all relevant reports and depositions from the CNSC and OPG in relation to the safety of the plant until the year 2020 be provided to the public in advance.

AND that CNSC requires OPG to send a draft Decommissioning Plan to the City of Pickering for consultation by year-end in 2015.

AND that a copy of this resolution is submitted to the CNSC forthwith.

AND that a copy of this resolution be sent to Durham Region, all Durham Regional local municipalities, Hon Kathleen Wynne, Premier of Ontario, Hon Tracy MacCharles, MPP Pickering-Scarborough, MPP Joe Dickson, Ajax-Pickering, Hon Chris Alexander, MP Ajax-Pickering, MP Corneliu Chisu, Pickering-Scarborough East.

** You can find Pickering Council minutes & agendas here