Formal Comments on the Draft Site-Wide Environmental Impact Statement for Continued Operation of the Los Alamos National Laboratory

Full NukeWatch LANL SWEIS Comments Out Now!
The LANL SWEIS public comment period has ended, but you can still take action: Use our recent extensive comments as a resource & citizens’ guide to Lab issues.

The National Environmental Policy Act requires the Los Alamos National Laboratory to periodically prepare a new “Site-Wide Environmental Impact Statement (SWEIS) for Continued Operations.”

Please use NukeWatch NM’s recent extensive comments on the Lab’s new draft SWEIS as a resource and citizens’ guide to Lab issues.

Did you know, for example, that:

• LANL’s nuclear weapons production budget has doubled over the last decade?

• The Lab’s so-called cleanup plan is to “cap and cover” some 200,000 cubic yards of radioactive and toxic waste, leaving them permanently buried as a perpetual threat to groundwater?

• There is a planned intentional release of up to 30,000 curies of radioactive tritium gas, all without a public hearing?

View at: nukewatch.org/formal-comments-on-the-draft-site-wide-environmental-impact-statement-for-continued-operation-of-the-los-alamos-national-laboratory/


 Use our lengthy formal comments as a starting point, toolkit or resource for dissecting ongoing and future issues at LANL!

We encourage you to use our comments to ask for follow-up info, either from us here at NukeWatch or from the Lab, and to demand better accountability and transparency! Use as background or briefing material for local and congressional advocacy.

For example:

  • Cite or excerpt our comments in future public processes under the National Environmental Policy Act. For example, we are expecting that a nationwide programmatic environmental impact statement for plutonium “pit” bomb core production will be announced soon, the result of a lawsuit in which NukeWatch led.
  • Share with those organizing around stopping expanded plutonium pit production and advocating for genuine radioactive and toxic wastes cleanup.
  • Learn about LANL’s proposed electrical transmission line across the environmentally and culturally sensitive Caja del Rio and alternatives that were not considered.
  • The National Environmental Policy Act itself is under assault by the Trump Administration. We expect environmental justice and climate change issues to be stripped from LANL’s final Site-Wide Environmental Impact Statement. This needs to be resisted!

NukeWatch NM argued that the draft SWEIS should be withdrawn and a new one issued because:

 • The NNSA has rigged the draft LANL Site-Wide EIS with three self-serving scenarios:

  – Expanded nuclear weapons programs (contradictorily called the “No Action Alternative”).

  – Yet more expanded nuclear weapons programs (“Modernized Operations Alternative”).

– Yet far more expanded nuclear weapons programs (“Expanded Operations Alternative”).

• A Reduced Operations Alternative must be included.

• The SWEIS’ fundamental justification for expanded nuclear weapons programs is “deterrence.” But “deterrence” has always included nuclear warfighting capabilities that could end human civilization overnight.

• The SWEIS purports to align with U.S. obligations under the 1970 NonProliferation Treaty. That is demonstrably false.

• Future plutonium pit production is NOT to maintain the safety and reliability of the existing nuclear weapons stockpile. Instead, it is for new-design nuclear weapons that could lower confidence in stockpile reliability and/or prompt a return to testing.

• The SWEIS’ No-Action Alternative violates the National Environmental Policy Act (NEPA).

• The legally required programmatic environmental impact statement on pit production should be completed first, followed by the LANL SWEIS.

• Plutonium pit reuse should be analyzed as a credible alternative to pit production.

• A recent proposal for a data center at LANL is not in the SWEIS. It raises huge issues of future water and electrical use, the appropriateness of commercial interests at a federal lab, and the possible fusion of artificial intelligence and nuclear weapons command and control.

• Recent Executive Orders could strip the final SWEIS of environmental justice and climate change analyses. This must have clarification.

• Planned tritium releases should be fully analyzed.

• The Electrical Power Capacity Upgrade should be analyzed will all credible alternatives.

• The proposed BioSafety Level-3 facility must have its own standalone EIS.

• All Defense Nuclear Facilities Safety Board concerns should be addressed and resolved.

• Genuine comprehensive cleanup should be a preferred alternative.

• A new SWEIS should follow a new overdue Probabilistic Seismic Hazard Analysis.

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