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Category:E-Mail
MONTHYEARML22235A7862022-08-23023 August 2022 Acceptance Review: Exemption Request from 10 CFR 20, Appendix G, LLW Shipping Investigation Requirements ML21181A1882021-06-30030 June 2021 E-mail from S. Johnston, Holtec, to A. Snyder and F. Bower, NRC - Oyster Creek Nuclear Generating Station - Readiness Status for ISFSI Only Inspection ML21175A2092021-06-24024 June 2021 E-mail from A. Sterdis to P. Longmire - Oyster Creek Nuclear Generating Station: ISFSI-only Physical Security Plan (Stating Implementation Intent) ML21162A3602021-06-11011 June 2021 E-mail Response from the State of New Jersey Regarding the Pending Revision to the Emergency Plan to Reflect Independent Spent Fuel Storage Installation Only Status ML21162A1172021-06-11011 June 2021 E-mail to HDI: Acceptance Review - FOF Exemption ML21168A0172021-06-10010 June 2021 E-mail from HDI: RAI Response ML21161A2572021-06-0707 June 2021 State Consultation: ISFSI-only Physical Security Plan (Email Response) ML21175A0712021-06-0202 June 2021 Issuance of Request for Additional Information: Oyster Creek Nuclear Generating Station. Request for Amendment to Technical Specifications ML21148A0562021-05-27027 May 2021 E-mail to State of New Jersey Informing of the Pending Revision to the Emergency Plan to Reflect Independent Spent Fuel Storage Installation Only Status ML21132A3182021-05-12012 May 2021 E-Mail from V. Gubbi, DEP to Z. Cruz, NRC - Oyster Creek Nuclear Generating Station - State of New Jersey Response to the Pending Revision to the Defueled Technical Specifications to Reflect Independent Spent Fuel Storage Installation Only ML21132A0312021-05-11011 May 2021 E-mail to State of New Jersey Informing of the Pending Revision to the Physical Security Plan to Reflect Independent Spent Fuel Storage Installation Only Status ML21119A1422021-04-28028 April 2021 E-mail to State of New Jersey Informing of the Pending Revision to the Emergency Plan to Reflect Independent Spent Fuel Storage Installation Only Status ML21113A0742021-04-23023 April 2021 Acceptance Review Email - April 20, 2021 Oyster Creek Request for Exemption from 10 CFR Part 73 Requirements Due to Covid ML21099A0382021-04-0808 April 2021 Email from Z. Cruz to A. Sterdis - Request for Additional Information - HDI Request for Approval of Oyster Creek Nuclear Generating Station Independent Spent Fuel Storage Installation Facility Only Emergency Plan ML21085A4872021-03-26026 March 2021 E-mail from Z. Cruz to A. Sterdis - Acceptance Review: Oyster Creek Nuclear Generating Station - Request for Approval of Independent Spent Fuel Storage Installation Only Permanently Defueled Technical Specifications ML21064A2432021-03-0505 March 2021 Email from Z. Cruz to A. Sterdis Acceptance Review_ Oyster Creek Nuclear Generating Station - Request for Approval of Independent Spent Fuel Storage Installation Facility Only Emergency Plan and Emergency Action Level Scheme ML21064A2392021-03-0202 March 2021 E-mail from Z. Cruz to A. Sterdis Acceptance Review - Oyster Creek Nuclear Generating Station - Request for Approval of Independent Spent Fuel Storage Installation Only Physical Security Plan ML20345A1462020-12-0909 December 2020 E-mail - Response to Request for Additional Information: HDI Request for One-Time Exemption from Part 73, Appendix B FOF Requirements ML20335A3112020-11-30030 November 2020 Request for Additional Information Regarding Request for a one-time Exemption from Part 73, Appendix B Requirements for Oyster Creek Nuclear Generating Station ML20332A1472020-11-24024 November 2020 Acceptance Review: November 20 2020 Exemption Request from 10 CFR Part 73 Appendix B Requirements for Oyster Creek ML20297A2372020-10-22022 October 2020 Request for Additional Information - HDI Fleet Decommissioning Quality Assurance Program ML20279A5082020-10-0505 October 2020 Email to Holtec - Response to Notification of Oyster Creek Onsite Property Insurance Coverage ML20266G4032020-09-22022 September 2020 Acceptance Review Email - Request for Approval of HDI Fleet Decommissioning Quality Assurance Program, Revision 0 ML20134H8742020-05-12012 May 2020 Request for Additional Information Regarding Request for Temporary Exemption from Part 73, Appendix B Requirements ML20133J9182020-05-11011 May 2020 Acceptance Review Email - Oyster Creek Request for Exemption from Part 73 Qualification Requirements ML20120A0252020-04-22022 April 2020 NRR E-mail Capture - (External_Sender) Oyster Creek Sea Turtle Handling and Conservation Recommendation Obligations NRC-2019-0073, Response from NEIMA Local Community Advisory Board Questionnaire 10-30-2019 R Discenza2019-10-30030 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-30-2019 R Discenza ML19344C8022019-10-20020 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-20-2019 a Dressler ML19344C8002019-10-0909 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-09-2019 W Mcmullin ML19344C7982019-10-0909 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-09-2019 M Noto ML19344C7992019-10-0909 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-09-2019 s Feldman ML19344C7932019-10-0909 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-09-2019 C Bischoff ML19344C7962019-10-0909 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-09-2019 G Adams ML19344C7912019-10-0808 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-08-2019 J Branciforte ML19344C7902019-10-0808 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-08-2019 Anonymous ML19344C7892019-10-0505 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-05-2019 P Dressler ML19263D1222019-09-20020 September 2019 for Your Action Request for Additional Information Hdi Oyster Creek PSDAR ML19214A0452019-08-0202 August 2019 NRC to NMFS, Revised Proposed Action for Oyster Creek Endangered Species Act Section 7 Consultation ML19182A3422019-07-0101 July 2019 Transaction ML19178A0702019-06-26026 June 2019 Email to State of New Jersey - Oyster Creek - Request Comments on Proposed Amendment to Remove Reference to the Oyster Creek Cyber Security Plan and Update License Condition 2.C.(4) in the Renewed Facility License ML19196A3422019-06-20020 June 2019 Email: Courtesy Notice on the Issuance of the Oyster Creek License Transfer and Exemption (Sierra Club) ML19196A3342019-06-20020 June 2019 Email: Courtesy Notice on the Issuance of the Oyster Creek License Transfer and Exemption ML19162A2242019-06-11011 June 2019 NRC to NMFS, NRC Responses to NMFS Requests for Additional Information for Oyster Creek ESA Section 7 Consultation NRC-2018-0237, Comment from Paul Dressler of the Concerned Citizens for Lacey Coalition, Regarding the Oyster Creek Nuclear Plant License Transfer Application2019-06-0707 June 2019 Comment from Paul Dressler of the Concerned Citizens for Lacey Coalition, Regarding the Oyster Creek Nuclear Plant License Transfer Application ML19155A1182019-06-0404 June 2019 Incoming E-mail from State of New Jersey on the Oyster Creek Exemption for Reduced Insurances and Use of Decommissioning Trust Fund for Spent Fuel Management and Site Restoration ML19155A1192019-06-0404 June 2019 State of New Jersey Comments - Oyster Creek Conforming Amendment Associated with the Oyster Creek Generating Station License Transfer Application ML19154A0582019-05-31031 May 2019 E-mail Response from State of New Jersey Dated May 31, 2019, Notification-and-Request-Oyster Creek License Transfer Application L-2018-LLM-0002 ML19158A2912019-05-30030 May 2019 NRR E-mail Capture - Oyster Creek ESA Consultation: Information Requests from NMFS ML19158A2772019-05-28028 May 2019 NRR E-mail Capture - Oyster Creek ESA Consultation: Information Requests from NMFS ML19148A4392019-05-24024 May 2019 NMFS to NRC, Requests for Additional Information to Support Oyster Creek Reinitiated Section 7 Consultation 2022-08-23
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P John Richmond T
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From: Ross Telson , N -. '-
Sent: Tuesday, December 16, 2008 8:07 AM To: Richard Conte Cc: Timothy Kobetz; John Richmond; Roger Pedersen; Timothy Kolb; AnnMane §tone; James Isom
Subject:
RE: OC ISSUES - CONSENSUS BUILDING
- Rich, I'd like to summarize key points of the Oyster Creek License Renewal Inspection Issues to ensure I (and others) understand the focus of our planned consensus building discussion. I am also including some references and food-for-thought and discussion.
(b)(5) r Is the above correct and reasonably on-target?
Reviewina IP 71003, I noted that it has, as its first stated objective (emphasis added):
"To verify that license conditions added as part of the renewed license, license renewal commitments, selected aging management programs, and license renewal commitments revised after the renewed license was granted, are implemented in accordancewith Title 10 of the Code of FederalRegulations (CFR) Part54, 'Requirements for the Renewal of Operating Licenses for Nuclear Power Plants."'
(b)(5)
Sý IMC 0612 guidance regarding documentation of MINOR issues (emphasis added):
If the performance deficiency is minor, it is not a finding, will not be considered in the ROP assessment process, and in most cases will not be documented. See Section 0612-11 for the exceptions for documenting minor issues.
An issue of concern, regardlessof whether it involves a violation of requirements,may be documented if relateddirectly to an issue of agency-wide concern, if allowed by an appendix to this chapter,or by the specific inspectionprocedure or temporary instruction If it is necessary to document a minor issue then only minimal discussion is required. The write-up should briefly describe the issue and state that the issue has been addressed by the licensee, if applicable..
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That said, it should be noted that most issues deemed to be minor are not documented and thus not available for review. Should this issue be documented, it will be open to external review and criticism.
Presumably, NRC technical staff involved in license renewal do not establish commitments for which they would consider deviation to be a minor issue.
It would be prudent to bring key internal stakeholders together (includeing the technical staff involved in establishment of the commitment) in our consensus building effort to ensure that our determination regarding (a) whether this is a minor issue and (b) whether it warrants documentation, are congruent with our inspection guidance, our license renewal process, our basis for having. created the commitment, and to ensure that our decisions are (c) fully defensible and (d) will not create unacceptable unintended consequences (e.g. see-broader perspective below).
From a broader perspective, should this license renewal commitment deviation be documented as a minor issue, we might anticipate a broad range of high-level questions from stakeholders. These questions could include:
- 1. Why establish commitments in license renewals if deviation from those commitments constitutes a minor issue that is neither enforceable nor documentable?
- 2. Why inspect to verify that license renewal commitments are implemented if, upon discovery that they are not implemented isn't going to be documented in the IR?
- 3. Should license renewal applications contain or be contingent upon commitments?
- 4. How does all of this impact stakeholder confidence in the license renewal process?
Ross Telson - 301-415-2256 Reactor Systems Engineer Reactor Inspection Branch (NRR / ADRO / DIRS / IRIB)
MS - 0 12H2 /Off - 0 12G5 From: Richard Conte Sent: Monday, December 15, 2008 1:03 PM To: Timothy Kolb; AnnMarie Stone Cc: Ross Telson; Timothy Kobetz; John Richmond
Subject:
RE: OC ISSUES - CONSENSUS BUILDING I understand the general philosophy but should LIc. Ren. be treated differently as a pseudo - "agency wide concern". Hard to say that, ifthe issues are minor, they are concerns. My last check of App. G draft is that it doesn't really address it other than freedom to document observation that lead one to conclude the commitment was met.
(b)(5) 2
(b)(5)
From: Timothy Kolb Sent: Monday, December 15, 2008 12:04 PM To: AnnMarie Stone Cc: Richard Conte
Subject:
FW: OC ISSUES - CONSENSUS BUILDING
- AnnMarie, The forwarded info, to my understanding, is that Rich Conte is looking for guidance on documenting minor issues or violations in a license renewal inspection. Does the new Appendix G provide any guidance for documenting minor violations which is allowed by 0612 per section 0612-11 ? Otherwise, the guidance is not to document the minor issues or violations.
- Thanks, Tim Kolb From: James Isom Sent: Monday, December 15, 2008 10:56 AM To: Timothy Kolb; Ross Telson Cc: Timothy Kobetz; Paul Bonnett; MaryAnn Ashley
Subject:
FW: OC ISSUES - CONSENSUS BUILDING Tim and Ross, this is an IMC 0612 issue.. Rich would like to document minor findings/violations in NRC inspection reports; these findings result from license renewal inspections (a licensing action) recommended to Rich that he call Tim K. tomorrow to get some guidance from Tim on the best course to proceed wrt to documenting these minor findings.
also, need to see how the Appendix G which Mary Ann is working on currently addresses this type of issue IMHO, a letter documenting license renewal inspections might be a better option Jim (b)(5) 3
(b)(5)
Q 4
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([148.184.99.140]) with mapi; Tue, 16 Dec 2008 07:07:08 -0600 Content-Type: application/ms-tnef; name="winmail.dat" Content-Transfer-Encoding: binary From: Ross Telson <Ross.Telson@nrc.gov>
To: Richard Conte <Richard.Conte@nrc.gov>
CC: Timothy Kobetz <Timothy.Kobetz@nrc.gov>, John Richmond
<John. Richmond@nrc.gov>, Roger Pedersen <Roger. Pedersen@nrc.gov>, Timothy Kolb <Timothy.Kolb@nrc.gov>, AnnMarie Stone <AnnMarie.Stone@nrc.gov>, James Isom <James.Isom@nrc.gov>
Date: Tue, 16 Dec 2008 07:07:06 -0600
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RE: OC ISSUES - CONSENSUS BUILDING Thread-Topic: OC ISSUES - CONSENSUS BUILDING Thread-Index: AclbKPRsnydkh/X/RRShk+G8noRZUgDpCGkAAAI1 P+AAAcgosAADbqTg Message-ID: <9A20E76DD15F8449AE68A5FDEC895190862E527B88@R3CLSTRO1.nrc.gov>
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