ML19319D563

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Responds to AEC 680209 Ltr Forwarding Amend 2 to PSAR Limiting Const to One Facility.Radiological Monitoring Program Adequate in Scope.Frequency of Sampling Omitted. Sampling Should Be Performed Every Six Months
ML19319D563
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 04/18/1968
From: Pautzke C
INTERIOR, DEPT. OF, FISH & WILDLIFE SERVICE
To: Price H
US ATOMIC ENERGY COMMISSION (AEC)
Shared Package
ML19319D562 List:
References
NUDOCS 8003170705
Download: ML19319D563 (1)


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) CEPARTMENT OF THE INTERIOR FISH AND WILDLIFE SERVICE WASHINGTON D. C. 20240 r

, I MR18WS i Mr. Harold L. Price }

Director of Regulations . .  !

U. S. Atomic Energy Comission 99 Washington, D. C. 20$h5 D 6,6 l D'd0ud([,d9,l,)

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Dear Mr. Price:

This is in response to your letter of February 9 trans-mitting a copy of Amendment No. 2 to the Prelimirmry Safety Analysis Report of the application for a construction pendt for tha. Crystal River Nuclear ,

Star, ion, Units 3 and h, Citrus County, Florida, Docket i Nos. 50-302 and 50-303. We understand that the Florida i Power Corporation has revised its application and is now planning for only one nuclear reactor at the station.

We have reviewed the planned radiological monitoring program as described in Amendment No. 2 and believe that it is adequate in scope. The frequency of sampling, -

however, was omitted. We reconmend that samples be '

collected and analyzed every 6 months, as mentioned in our letter of February 12.

We also find no reference to studies to determine current velocities and patterns in the estuary receiving plant effluent, as recomended in our report. This program is ,

necessary for the accurate detemination of circulation i patterns and dilution rates of radioactive effluents.

Sincerely yours, ,

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