ML18093A633

From kanterella
Jump to navigation Jump to search
Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods
ML18093A633
Person / Time
Site: Salem, Hope Creek, 05000000
Issue date: 02/01/1988
From: Corbin McNeil
Public Service Enterprise Group
To: Chilk S
NRC OFFICE OF THE SECRETARY (SECY)
References
FRN-52FR45344, RULE-PR-50 52FR45344-00018, 52FR45344-18, NLR-N88013, NUDOCS 8802120200
Download: ML18093A633 (2)


Text

ii'

-\

e ~~m~E~u~l)PR -§0 @

($2 Pie, 4~..J</t) OOC;KETEQ Public Service USNRC Electric and Gas Company Corbin A. McNeil!, Jr. Public Service Electric and Gas Company P.O. Box 236, Hancockilridff.IJ.Jj£ofs~~fa9_4aoo Senior Vice President -

Nuclear Ofr:!CE er: ~ Ei~F1t !ti..r. (

DOCKE1 iNG & SEWIC[

BRANCH February 1, 1988 NLR-N88013 Mr. Samuel J. Chilk, Secretary United States Nuclear Regulatory Commission Washington, DC 20555 Attention: Docketing and Service Branch

Dear Mr. Chilk:

PROPOSED POLICY STATEMENT ON INTEGRATED SCHEDULES FOR IMPLEMENTATION OF PLANT MODIFICATIONS SALEM AND HOPE CREEK GENERATING STATION DOCKET NOS. 50-272/50-311 AND 50-354 Public Service Electric and Gas Company (PSE&G) has been a longstanding member of the Atomic Industrial Forum (AIF) subcommittee on Integrated Implementation Schedules and, as such, participated in the preparation of comments previously submitted by AIF on this issue. Relative to the request for comments on the NRC draft Policy Statement published on November 27, 1987 (FR45344), PSE&G fully endorses the comments submitted by the Nuclear Utility Management an_d Resources Council (NUMARC).

The development of an Integrated Implementation Schedule can provide an important tool to both Utility and NRC management in planning and sche.duling plant modifications. However, as identified in the NUMARC comment letter, clarification is required on,:7~i'everal points outlined in the draft Policy Statement and additior1al generic implementation guidance to the industry, separate from the Policy Statement, is also necessary. It is our belief that additional dialogue between the NRC and NUMARC would facilitate resolution of the comments provided and would also be beneficial in the development of any generic guidance.

8802120200 880201 PDR PR 50 52FR45344 PDR

t.

Mr. Samuel J. Chilk 2 02/01/88 We appreciate the opportunity to provide comments on the draft Policy Statement. Should there be any questions, please feel free to contact us.

Sincerely,

--