N-2NSPI (NSEB) RIRs 1-11
4 passages
12. Reporting - a. The Approval Holder(s) shall provide an annual report to the Department by March 31st of each year summarizing the following information collected during the previous calendar year of operations, as required by the terms...
AI summary The Approval Holder(s) are required to submit an annual report to the Department by March 31st, summarizing information such as ash management, sewage treatment system monitoring results, complaints and resolutions, and incidents of non-compliance with the terms and conditions of the Approval.
27. Circulating Fluidized Bed (CFB) Residue Management a. The Approval Holder(s) shall complete a review of the "CFB Residue Management Operations Manual", dated December 2014 to ensure it conforms to minimum requirements of this Approval...
AI summary The document outlines requirements for the management of Circulating Fluidized Bed (CFB) residue, including the need to review and update the operations manual, compliance with its conditions, and obtaining authorization for the disposal of materials other than fly ash or bottom ash.
1.12 NOTIFICATION - .1 Owner/Engineer will notify Contractor in writing of observed noncompliance with Federal, Provincial or Municipal environmental laws or regulations, permits, and other elements of Contractor's Environmental Protection...
AI summary This section outlines the procedure for addressing noncompliance with environmental laws and regulations during a project. The Owner/Engineer must notify the Contractor of any observed noncompliance, and the Contractor must propose corrective actions for approval. Work may be halted until corrective actions are satisfactory, and no time extensions or adjustments will be granted for such suspensions.
1 Request IR-4: 15 ensure compliance with regulatory limits. 16 17 These activities are managed internally by NS Power and are not itemized as separate 18 components within the project's capital estimate of $2,530,405. Instead, they are 19...
AI summary The text discusses NS Power's internal management of compliance activities, which are accounted for under operating costs rather than capital expenditures. It outlines consequences for non-compliance, including automatic shutdowns, manual sampling, and reporting requirements to NSECC. NS Power is responsible for monitoring, corrective actions, and regulatory engagement costs.