ML19309B582
| ML19309B582 | |
| Person / Time | |
|---|---|
| Site: | Crane |
| Issue date: | 03/07/1980 |
| From: | Wilson R METROPOLITAN EDISON CO. |
| To: | Jay Collins NRC - TMI-2 OPERATIONS/SUPPORT TASK FORCE |
| References | |
| TLL-110, NUDOCS 8004040330 | |
| Download: ML19309B582 (3) | |
Text
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V lE Metropolitan Edison Company
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Po t Of fice Box 480
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Miciletown, Pennsylvania 17057 717 144 4 041 s.
March 7, 1980 TLL 110 TMI Support Attn:
J. T. Collins, Deputy Director U. S. Nuclear Regulatory Commission c/o Three Mile Island Nuclear Station Middletown, Pennsylvania 17057
Dear Sir:
Three Mile Island Nuclear Station, Unit II (TMI-2)
Operating License No. DPR-73 Docket No. 50-320 Radwaste Shipments Metropolitan Edison is in the process of responding to your letter (NRC/TMI-80-036) of February 23, 1980 regarding shipment of Radio-active Waste.
A ccmprehensive training program and audit is in pro-gress as stipulated during the meeting with your staff on February 19, 1980.
Our response will fully address the matters raised in your letter and, coupled with appropriate verification by your staff, will allow the shipping ban to be lif ted.
In the meantime, we request permission to ship three (3) specific rad-waste packages prior to complete lifting of the shipment ban.
The three shipments are EPICOR I Spent Resin Liners.
Personnel involved in the transfer, packaging, and transport of these liners have received the training / retraining required by IE Bulletin 79-19.
Table 1 pro-vides a list of these actions as stipulated in approved TMI Procedures, who will be completing the action, and when that individual completed applicabic (Supervisory or Health Physics) training.
The individuals signing the Shipping Documents are certifying compliance with specific tasks assigned.
These packages will be shipped in compliance with all applicable Regulatory requirements.
The continued accumulation of spent resin liners at Three Mile Island is a concern with respect to having sufficient numbers of storage cells available without disrupting Radwaste Liquid Processing. The importance of the continued, expedi-tious cleanup of liquids in an uninterrupted fashion is critical to the TMI recovery.
8004040 810.
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J. T. Collins March 7, 1980 TLL 110 4
Based upon proper training of specific individuals involved in this ship-
, ment, the certification of compliance with Regulatory Requirements which accompanies all shipments, and the importance of commencing shipment as
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soon as possible, it is requested permission be granted to ship three (3) Spent Resin Liners prior to removing the ban on shipments.
I Should you have any questions, please contact me or John Barton, Manager, Site Operations (Extension 8326).
Sincerely, j
AK,%%
R. F. Wilson Director, TMI-2 RFW:rdg 1
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R. H. Vollmer Attachment i
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Table 1 TMI II PERSONNEL INVOLVED IN SPENT RESIN SHIPMENTS MARCH 10 TO 14, 1980 INDIVIDUAL DATE INDIVIDUAL SHIPPING ACTION SIGNING ACTION-RECEIVED REQUIRING SIGNATURE IS COMPLETE APPROPRIATE TRAINING 1.
Cask Certification Check L.
Zehner January 15, 1980 2.
Curie Content Calculation E.
Showalter January 15, 1980 Performed by 3.
Facility License Check J.
Hess March 4.
1980 4.
Contamination Survey D.
Brownsburger March 3,
1980 Performed by 5.
Beta Gamma Survey D.
Brownsburger March 3,
1980 Performed by 6.
Vehicle Survey D.
Brownsburger March 3,
1980 7.
Shipping Form J.
Hess March 4,
1980 Prepared by 8.
Shipment Released by R.
McGoey March 5,
1980
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