Comment on FR Doc # 2026-08550, NRC-2025-0379-0011, from ClearPath

ClearPathSupportAdvocacy
Summary: ClearPath, a nonprofit organization focused on clean energy policy, supports the proposed Part 57 rulemaking but argues that its scope should be expanded beyond microreactors to include all reactors meeting the safety criteria. They also recommend incorporating the rule's innovative licensing concepts into existing regulatory frameworks (Parts 50, 51, 52, and 53) to maximize their impact and efficiency.
Please see attached ClearPath Comments on the Proposed Rule, “Licensing Requirements for Microreactors and Other Reactors With Comparable Risk Profiles” [RIN 3150-AL36; Docket ID NRC-2025-0379]

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