ML19257A775
| ML19257A775 | |
| Person / Time | |
|---|---|
| Site: | Haddam Neck, Millstone File:Connecticut Yankee Atomic Power Co icon.png |
| Issue date: | 12/28/1979 |
| From: | Counsil W NORTHEAST UTILITIES |
| To: | Gammill W Office of Nuclear Reactor Regulation |
| References | |
| NUDOCS 8001080421 | |
| Download: ML19257A775 (2) | |
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December 28, 1979 Docket Nos. 50-213 50-245 50-336 50-423 Mr. William P. Gammill Acting Assistant Director for Operating Reactor Projects Division of Operating Reactors Office of Nuclear Reactor Regulation U. S. Nuclear Regulatory Commission Washington, D. C.
20555
Reference:
(1)
W. P. Gammill letter to All Power Reactor Licensees, dated October 2, 1979.
Dear Mr. Gammill:
Haddam Neck Plant Millstone Nuclear Power Station, Unit Nos. 1, 2, and 3 Radiological Safety Training of NRC Employees In Reference (1), you described the radiation safety training and certification of NRC Staff members who may visit plant facilities in the course of their duties.
This letter is to inform you that we accept this certification.
Connecticut Yankee Atomic Power Company (CYAPCO) and Northeast Nuclear Energy Company (NNECO) recognize the inappropriateness of subjecting experienced site visitors to unnecessarily repetitious basic radiological safety training.
We have reviewed the NRC Staff training seminar outlined and certification credentials enclosed with Reference (1), and find them to be compatible with training given by us.
However, due to dif ferences between the Connecticut Yankee site and the Millstone site which contains three units, some site-specific indoctrination is still necessary in varying degrees in the areas of augmented health physics training, security, safety, and emergency training. The require-ments in each of these areas will vary between these two sites, due to site differences.
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As is the case with our own service company personnel from the Northeast Utilities Service Company, and contractor and vendor personnel, periodic re-training and requalification is necessary. Ve expect this to be true of qualified and certified URC personnel, as well. Thus, CYAPCO and NNECO reserve the right to require oral or written briefincs and a signed acknowledgement or written test to confirm the qualifications of personnel in these areas. We view the NRC Staff program of health physics training described in Reference (1) to be significantly helpful in accomplishing these qualification objectives.
Very truly yours, CONNECTICUT YANKEE ATOMIC POWER COMPANY NORTHEAST NUCLEAR ENERGY COI@A '
f l ' 1,17 W. G. Counsil Vice President 1706 203