95-6069. Steve Gannis, Denial of Petition for Rulemaking  

  • [Federal Register Volume 60, Number 48 (Monday, March 13, 1995)]
    [Proposed Rules]
    [Pages 13385-13388]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 95-6069]
    
    
    
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    NUCLEAR REGULATORY COMMISSION
    
    10 CFR Part 20
    
    [Docket No. PRM-20-23]
    
    
    Steve Gannis, Denial of Petition for Rulemaking
    
    AGENCY: Nuclear Regulatory Commission.
    
    ACTION: Denial of petition for rulemaking.
    
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    SUMMARY: The Nuclear Regulatory Commission (NRC) is denying a petition 
    for rulemaking (PRM-20-23) from Steve Gannis. The petition is being 
    denied on the basis that the proposed action is not necessary because: 
    current public dose limits adequately protect the health and safety of 
    the public; the requirement that doses are as low as is reasonably 
    achievable (ALARA) provides an ample margin of safety; and the proposed 
    1 mrem/yr limit is not supported by the recommendations of the 
    International Commission on Radiological Protection (ICRP), the 
    National Council on Radiation Protection and Measurements (NCRP), or 
    Presidential guidance.
    
    ADDRESSES: Copies of the petition for rulemaking, the public comments 
    received, and the NRC's letter to the petitioner are available for 
    public inspection or copying in the NRC Public Document Room, 2120 L 
    Street, NW. (Lower Level), Washington, DC.
    
    FOR FURTHER INFORMATION CONTACT: Charleen T. Raddatz, Office of Nuclear 
    Regulatory Research, U.S. Nuclear [[Page 13386]] Regulatory Commission, 
    Washington, DC 20555, telephone (301) 415-6215.
    
    SUPPLEMENTARY INFORMATION:
    
    The Petition
    
        By letter dated January 8, 1994, Mr. Steve Gannis filed a petition 
    for rulemaking with the NRC. The petitioner requested that the NRC 
    reduce the limit for radiation dose to members of the public from the 
    current 100 mrem/yr to 1 mrem/yr.
        As a basis for the requested action, the petitioner cited the NRC 
    policy statement on radiation doses that should be considered ``Below 
    Regulatory Concern'' (BRC)(issued July 3, 1990; FR 27522, and withdrawn 
    August 24, 1993; 58 FR 44610). Table 1 (July 3, 1990; 55 FR 27527 and 
    55 FR 27232) of that policy statement shows that if a person received 
    the maximum allowable dose every year of the average 70-year life-span, 
    he or she would have an additional 1 in 285 chance of death from cancer 
    as a result of that dose. The petitioner further contends that non-
    fatal cancers would result at the same rate.
    
    Public Comments on the Petition: Summary and Analysis
    
        On April 14, 1994 (59 FR 17746), the NRC published a notice of the 
    receipt of a petition for rulemaking in the Federal Register. 
    Interested persons were invited to submit written comments concerning 
    the petition by June 28, 1994. The NRC received 34 letters of comment 
    from 30 individuals in response to the notice. Two commenters submitted 
    addenda to their comments which were docketed separately. These are 
    summarized in Table 1. Table 1.
    
                                     Table 1                                
    ------------------------------------------------------------------------
      Comments                   Category                    For     Against
    ------------------------------------------------------------------------
    6...........  Individuals...........................         4         2
    5...........  Radiation Protection Professional       ........         5
                   Organizations Representatives.                           
    12..........  Environmental Group Representatives...        11         1
    7...........  NRC Licensee Representatives..........  ........         7
    ------------------------------------------------------------------------
    
    Comments in Favor of the Petition
    
        Several commenters in favor of the petition gave no reasons for 
    their support. These commenters only repeated the position in the 
    petition. One commenter believed that no more than 2.5 mrem/yr limit 
    was reasonable. One commenter said that only a zero dose limit was 
    acceptable. Another commenter said that having reviewed the application 
    for a low-level waste storage facility, it is evident that 1 mrem/yr is 
    achievable for that facility and, therefore, reasonable for all 
    facilities under NRC jurisdiction. Many of those who commented in 
    support of the petition stated that they were appalled that NRC would 
    condone the thousands of unnecessary deaths caused each year by doses 
    to members of the public from exposure to NRC-licensed material.
    
    NRC Response
    
        None of the commenters in favor of the petition presented any 
    information that was convincing concerning the need for a lower dose 
    limit for members of the public. Annual doses to members of the public 
    from natural and man-made sources are summarized in Table 2 (from NCRP 
    Reports, Numbers 92, 93, 94, and 95).
    
                                     Table 2                                
    ------------------------------------------------------------------------
                                                         Average annual dose
                           Source                       --------------------
                                                           in mSv     mrem  
    ------------------------------------------------------------------------
    Naturally occurring radon..........................     2.0        200.0
    Other naturally occurring..........................     1.0        100.0
    All occupational exposures.........................     0.009        0.9
    Nuclear fuel cycle.................................     0.0005       0.1
    Other consumer products............................     0.1         10.0
    Diagnostic medical x-rays..........................     0.39        39.0
    Nuclear medicine...................................     0.14        14.0
                                                        --------------------
          Total........................................     3.64       364.0
    ------------------------------------------------------------------------
    
        Inspection data since 1982 shows that effluents and direct 
    radiation dose rates continue to decline. As doses to members of the 
    public are calculated from these, it is reasonable to assume that 
    public doses have continued to decline as well.
        While those who live nearest to NRC-licensed facilities are in 
    principle allowed to receive up to the limit of 100 mrem/yr, most 
    receive only a small fraction of this. The reason for this is that 
    ALARA programs in place to supplement the dose limit result in a system 
    of dose control which achieves doses significantly below the limit. As 
    a consequence of this approach, the average dose to most members of the 
    public from NRC-licensed facilities is well below 1 mrem/yr. Naturally 
    occurring radioactivity is responsible for an average of 300 mrem/yr. 
    In some areas, the dose from naturally occurring radioactivity is 
    considerably higher (up to 900 mrem/yr according to NCRP Report No. 
    93). The ICRP, in its 1990 recommendations on dose limits in Report 
    Number 60, confirmed that there is no new biological evidence that 
    suggests that there should be a reduction in the limit for members of 
    the public. The ICRP recommendation for dose to members of the public 
    is 100 mrem/yr with certain provisions for deviations up to 500 mrem/
    yr. The NCRP reached the same conclusions in Report Number 116.
        One commenter stated that the Environmental Protection Agency (EPA) 
    limit for members of the public is only 10 mrem/yr. Therefore, the NRC 
    limit of 100 mrem/yr does not protect the health and safety of the 
    public. However, 10 mrem/yr is the EPA Clean Air Act limit for dose 
    from a single pathway of exposure; namely, the dose a member of the 
    public might receive from airborne releases of radioactive material 
    from a facility. Members of the public might receive doses from other 
    pathways as well, including radioactive material in food, water, on the 
    ground, and in the soil, and direct radiation from the facility in 
    which the radioactive material is stored or used. Presidential Guidance 
    to Federal Agencies on dose limits for Public Exposure (May 18, 1960; 
    25 FR 4402), signed by former President Eisenhower, recommends a value 
    of 500 mrem/yr for all pathways. This guidance is currently under 
    consideration for revision and is expected to be revised to 100 mrem/yr 
    from all pathways (see proposed revision published December 23, 1994 
    (59 FR 66414). NRC's limit of 100 mrem/yr from all pathways, from 
    licensed and unlicensed sources, under the control of the licensee, 
    including the [[Page 13387]] provision that any dose must be as low as 
    is reasonably achievable, has the effect of being at least as 
    protective as EPA regulations. In a survey conducted by the EPA to 
    determine if NRC licensees were releasing radioactive materials to the 
    environment in excess of EPA Clean Air Act limits, the EPA found that 
    none of the NRC licensees surveyed had airborne effluents resulting in 
    doses greater than 10 mrem/yr and the vast majority resulted in doses 
    less than 1 mrem/yr to the member of the public likely to receive the 
    highest dose.
    
    Comments Opposed to the Petition
    
        Commenters opposed to the petition presented a variety of reasons 
    for their opposition. Most commenters stated that some current uses of 
    radioactive materials could not continue under a 1 mrem/yr limit for 
    members of the public. Further, some of the commenters stated that it 
    would be impossible to demonstrate compliance with a limit so low that 
    it could not be measured. Many commenters stated that there would be no 
    significant increase in the protection of public health and safety. 
    Other commenters concluded that the lower limit would result in a 
    significant decrease in protection of the health and safety of the 
    public. Some commenters came to this conclusion based on the estimated 
    risks from effluents, waste, and radiation dose from alternate methods 
    for production of electric power (e.g., coal, oil). Other commenters 
    based the conclusion on the increased risk from surgical procedures and 
    alternate chemical treatments for patients now treated with radioactive 
    materials. Some commenters argued that economic considerations would 
    preclude certain uses of radioactive material such as some medical 
    uses. Therefore, the mortality risk from certain cancers would be much 
    higher without the use of radioactive materials in treatment. 
    Radioactive treatments performed to reduce pain and suffering in the 
    last months of life for many cancer patients would also have to be 
    stopped.
        Many commenters opposed to the petition believed that the risk was 
    exaggerated in the petition. They stated that the risk estimate 
    referenced by the petitioner assumed that every individual would 
    receive the maximum allowable dose every year of his or her life. Some 
    commenters believed it inappropriate to use the conservative linear 
    non-threshold model to extrapolate from doses between a few thousand 
    mrem and millions of mrem, delivered in a fraction of a second, to the 
    100 mrem/yr limit. They believed it unreasonable to give no 
    consideration to possible repair mechanisms or to the existence of any 
    tolerance to radiation dose. Further, commenters contended that 
    licensees must demonstrate compliance with the limit for members of the 
    public by assuming that a member of the public is present at the 
    location of highest dose rate, 24 hours a day, 365 days a year. The 
    commenter therefore concluded that the actual risk is much smaller than 
    the petitioner believes.
        Most commenters opposed to the petition cited the recent 
    recommendations of both the ICRP and the NCRP. Both organizations 
    recommend that dose to members of the public not exceed 500 mrem in any 
    one year and not average more than 100 mrem/yr. NCRP states that a dose 
    of 500 mrem in a year is not especially hazardous if the same group 
    does not receive that dose year after year.
        One commenter compared 1 mrem/yr exposure to common radiation 
    sources. Some of the examples given were: (1) Flying from New York City 
    to Los Angeles exposes each passenger and crew member to 5 mrem; (2) a 
    one week Colorado ski trip raises your annual exposure by 11 mrem; and 
    (3) sleeping in bed with another person exposes each person to 0.1 
    mrem/yr from exposure to radioactive material in the other person's 
    body. This commenter argued that radiation is the most studied hazard 
    agent on earth. This commenter stated that after 99 years and billions 
    of research dollars, no statistically significant negative effects of 
    low levels of radiation have been shown in well controlled studies, and 
    in fact, some studies suggest that there may be benefits from chronic, 
    low level radiation exposure, possibly because, by stimulating enzyme 
    production, the organism is protected from damage by stronger radiation 
    and toxic chemicals. This commenter's argument is based, in part, on 
    the observation that background radiation levels in Colorado are about 
    twice that of the rest of the United States, yet cancer rates are tied 
    for the third lowest in the nation.
    
    NRC Response
    
        For the reasons stated as the basis for the denial, the NRC agrees 
    with those commenters who were opposed to the petition.
    
    Reasons for Denial
    
        The NRC has considered the petition, the public comments received, 
    and other related information and has concluded that the issues raised 
    by the petition are insufficient to justify rulemaking to reduce the 
    limit for members of the public. The following is a discussion of the 
    details of that conclusion.
        The primary concern of the petition is the perception that the 100 
    mrem/yr limit for radiation exposure from radioactive sources under the 
    control of NRC licensees poses an unacceptable risk to the population 
    of the United States. In 1994, the ICRP Main Commission fully discussed 
    the issue of dose limits for members of the public together with the 
    statements to the 1994 United Nations Scientific Committee on the 
    Effects of Atomic Radiation (UNSCEAR). The ICRP confirmed that there 
    was no new biological evidence that suggested that there should be a 
    revision to the cancer risk estimates in ICRP Publication 60 and no 
    reason to revise the recommendation that the average dose over a five 
    year period not exceed 100 mrem/yr for members of the public (allowing 
    for infrequent exposures up to 500 mrem/yr). The NCRP examined the 
    UNSCEAR 1988 report, the report by the National Academy of Sciences/
    National Research Council Committee on the Biological Effects of 
    Ionizing Radiation (BEIR V) (NAS/NRC, 1990), and the recommendations of 
    the ICRP and issued recommendations that United States regulatory 
    agencies establish limits for exposure to man-made radiation sources by 
    members of the public to an annual average not to exceed 100 mrem/yr 
    with allowances for infrequent exposures up to 500 mrem/yr.
        The petitioner contends that the NRC limit of 100 mrem/yr doubles 
    the average background radiation dose to which members of the public 
    are exposed. In fact, the NRC system of dose control includes the ALARA 
    concept that doses should be controlled below the dose limits and to 
    levels which are as low as reasonably achievable. As a consequence, the 
    actual doses from licensed activities are only a very small fraction of 
    the annual background dose to members of the public which averages 300 
    mrem/yr in the United States.
        The petitioner states that ``Federal Government standards on how 
    much cancer can be caused among the public by cancer-causing pollutants 
    and contaminants generally permit, at most, approximately 1 cancer per 
    million people.'' However, the EPA National Emission Standards for 
    Hazardous Air Pollutants (NESHAPS); Radionuclides (54FR51655) states 
    that ``a principle that accompanies these numerical goals is that the 
    state of art of risk assessment does not enable numerical risk 
    estimates to be made with comparable confidence. Therefore, judgment 
    must be used in [[Page 13388]] deciding how numerical risk estimates 
    are considered with respect to these goals.'' The NESHAPS standard for 
    emissions of radioactive material from NRC licensed facilities is 10 
    mrem/yr for the air effluent release pathway alone. While the results 
    of the 1993 reports to EPA have not been provided to NRC, a survey of 
    NRC licensed facility air emissions performed by EPA in 1992 revealed 
    that no NRC licensed facility surveyed exceeded that value. Almost all 
    of the facilities surveyed in 1992 had air effluents which resulted in 
    doses an order of magnitude lower for the maximally exposed 
    individuals.
        Taking these considerations into account, with respect to reducing 
    the radiation dose limit to members of the public from 100 mrem/yr to 1 
    mrem/yr, the petition fails to recognize the net effect of the NRC's 
    system of dose control and the role played by the dose limit and ALARA 
    programs.
        When these are taken into account, NRC's judgment is that the 
    public is adequately protected, the health risks from NRC licensed 
    activities are low, and no change in basic radiation protection 
    standards, as petitioner suggests, is warranted.
    
        Dated at Rockville, Maryland, this 2nd day of March, 1995.
    
        For the Nuclear Regulatory Commission.
    James M. Taylor,
    Executive Director for Operations.
    [FR Doc. 95-6069 Filed 3-10-95; 8:45 am]
    BILLING CODE 7590-01-P
    
    

Document Information

Published:
03/13/1995
Department:
Nuclear Regulatory Commission
Entry Type:
Proposed Rule
Action:
Denial of petition for rulemaking.
Document Number:
95-6069
Pages:
13385-13388 (4 pages)
Docket Numbers:
Docket No. PRM-20-23
PDF File:
95-6069.pdf
CFR: (1)
10 CFR 20