ML17277A441

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Requests Interpretation of Regulations Re Geographical Boundaries for Indemnity Location Described in Indemnity Agreement B-94
ML17277A441
Person / Time
Site: Columbia Energy Northwest icon.png
Issue date: 02/10/1983
From: Bouchey G
WASHINGTON PUBLIC POWER SUPPLY SYSTEM
To: Dinitz I
NRC OFFICE OF STATE PROGRAMS (OSP)
References
GO-83-108, NUDOCS 8302150200
Download: ML17277A441 (4)


Text

REGULATORY RMA'TION DISTRIBUTION 'S (R IDS)

AGGRESSION NBR; 8302150200,DOC

~ DATE: 83/02/10 NOTARIZED!

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'AGIl:50"397 WPPSS Nuclear Projects Unit 2~ Nashington ~Public Powe AUTH+/A'ME AUTHOR AFF IL-IATION BOUCHEYiG.D.

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~Power "Supply 'System

'REC IP e NAME RECIPIENT AFFILIATION DINITZeI~

Office of State )Programs<

Director DOCKET 05000397

SUBJECT:

'Requests inde'rpvetation of r egulations

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Washington Public Power Supply System P.O. Box 968 3000 George Washington Way Richland, Washington 99352 (509) 372-5000 February 10, 1983 G02-83-108 Mr. Ira Dinitz Insurance and Indemnity Specialist Office of State Programs U. S. Nuclear Regulatory Commission Washington, D.

C.

20555

Dear Mr. Dinitz:

Subject:

WNP-2 SITE DESCRIPTION FOR INDEMNITY AGREEMENT As a result of discussion and correspondence among our insurance Manager (Mr. J. 0. DeLuca), you and Mr. Salzman, the NRC established a temporary, limited indemnity location for the preoperational storage of fuel at our WNP-2 site in Benton County, Washington.

The geographical boundaries of this indemnity location are described in Indemnity Agreement B-94 (attachment to NRC Materials License No. SNM-1890).

The pertinent regulations (10CFR140.96, Appendix F) appear to require that the geographical boundaries of the indemnity location be redefined prior to receipt of the WNP-2 Operating License to include the entire construction area for our WNP-1 and WNP-4 sites which are located near WNP-2.

Such a broad definition of the indemnity location would require that we attempt to obtain agreements to modify certain contractual agreements for the project, which at present would prohibit extending WNP-2 insurance to cover the WNP-1 and WNP-4 sites.

Please provide us with your interpretation of the regulations relative to geographical boundaries for the indemnity location.

An early response, setting forth your rationale in some detail, would be appreciated.

We will'eed to explain the application of the broad indemnity location in seeking the necessary contract change agreements, in the event the broad indemnity location boundary definition is required.

Very truly yours, G.

D. Bouche

, Manager Nuclear Safety 5 Regulatory Programs GCS/sm cc:

JO Salzman JB Knotts NS Reynolds A

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