ML19289G113
| ML19289G113 | |
| Person / Time | |
|---|---|
| Site: | Crane |
| Issue date: | 05/10/1979 |
| From: | Greger R NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
| To: | Galen Smith NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
| References | |
| NUDOCS 7906260372 | |
| Download: ML19289G113 (2) | |
Text
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f a a'Cug UNITED STATES
,0, NUCLEAR REGULATORY COMMISSION
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f KING OF PRUS5I A. PENNSYLV ANI A 19406 o *****
May 10, 1979 MEMCRANDUM FOR:
G. Smith, Director, Health Physics Operations, TMI FROM:
R. Greger, Lead In Plant HP SLT) JECT:
TOPICS FOR MAY 10 MEETING WI'DI LICENSEE HP MANAGEMENT Define and explain functional HP organization for site.
a.
How do various organizations interact to coordinate activities and achieve reasonable uniformity?
(RWP inconsistencies between control points, inconsistent respiratory requirements, follow-up on contaminated guards).
5.
Provide names of responsible individuals that NRC can contact to answer HP related questions and resolve NRC concerns, c.
Is anyone in the licensee's organization looking at HP activities from ongoing audit perspective rather than individual job / event perspective.
Was the initial March 28 charcoal cartridge from HFR 219 ever located?
(Is data from that charcoal included in S. Forter's release calculations?)
How is personal dosimetry information coordinated between the various control points?
Questions re :new plan t stack treatment system.
No linearity deter =inations have been conducted (or planned).
a.
b.
Train four charcoal monitor does not appear to bc responding correctly.
(No increase with time between charcoal change units.)
c.
Sample flows are about 257. lower than ventilation flows.
d.
Recorder paper on AM 5 does not match instrument scale, Upstream ventilation flow was indicated at about 80,000 Cfm the e.
sum of the three on service exhaust flows was about 90,000 cfm.
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5/10/79 A formal system (documented) is probably desirable for IWTS (IWFS) and secondary neutralizer taal: releases.
What radiation protection, respiratory protection, sampling, etc.
requirements are there for compactor use?
(Ops. procedure 1104-28B does not include these requirements.)
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