LIC-12-0128, Management Change
| ML122541041 | |
| Person / Time | |
|---|---|
| Site: | Fort Calhoun |
| Issue date: | 09/06/2012 |
| From: | Gates W Omaha Public Power District |
| To: | Office of Nuclear Reactor Regulation, Document Control Desk |
| References | |
| LIC-12-0128 | |
| Download: ML122541041 (1) | |
Text
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iiiiiijj Omaha Public Power District 444 South 16th Street Mall W. Gary Gates Omaha NE 68102*2247 President & CEO September 6, 2012 U.S. Nuclear Regulatory Commission Attention: Document Control Desk Washington, D.C. 20555-0001 RE:
Management Change Ft. Calhoun Station, NRC Docket 50-285, DPR-40 The purpose ofthis letter is to inform the Nuclear Regulatory Commission ("NRC") that effective August 27,2012, Louis Cortopassi, an employee of Exelon Generation Company, LLC ("Exelon"), was named the Site Vice President at Fort Calhoun Station (FCS). In addition, subject to approval of the Omaha Public Power District Board of Directors, we anticipate that Mr. Cortopassi will be appointed the Chief Nuclear Officer ("CNO") at FCS. Omaha Public Power District ("OPPD") owns and is the licensed operator ofFCS.
Although Mr. Cortopassi remains an employee of Exelon, he is also the Site Vice President at FCS and is anticipated to be named an officer of OPPD. Through a contract between OPPD and Exelon, in his capacity as FCS Site Vice President, Mr. Cortopassi serves at the discretion of the OPPD Chief Executive Officer or his designee (also an OPPD employee). Additionally, in his anticipated capacity as the CNO, Mr. Cortopassi will serve at the discretion of the OPPD Board of Directors. In this regard, Mr. Cortopassi has been granted the authority to represent OPPD on matters before the NRC and to sign FCS-related documents under oath and affirmation. OPPD remains the owner, operator, and licensee for FCS and retains all authority and control for licensed activities under the Operating License and final decision making authority for the safe operation of FCS and regulatory compliance. This approach is consistent with the regulatory requirements of 10 CFR 50.80 and does not trigger a review pursuant to NRC Regulatory Issue Summary 2001-06, "Criteria for Triggering A Review Under 10 CFR 50.80 For Non Owner Operator Service Companies."
Please replace Mr. David Bannister with Mr. Lou Cortopassi, Site Vice President FCS, on the service list for FCS correspondence.
If you have any questions or require additional information, please contact me at (402) 636-3210.
Sincerely,
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President and CEO cc: Regional Administrator, USNRC - Region IV Senior Project Manager, USNRC - NRR Project Directorate IV-l Senior Resident Inspector, USNRC Employment with Equal Opportunity LIC-12-0128