ML19332B548
| ML19332B548 | |
| Person / Time | |
|---|---|
| Issue date: | 09/30/1988 |
| From: | Miller V NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS) |
| To: | Holloway C NRC OFFICE OF ADMINISTRATION & RESOURCES MANAGEMENT (ARM) |
| Shared Package | |
| ML19332B436 | List: |
| References | |
| FRN-54FR49763, RULE-PR-170, RULE-PR-170-MISC AD23-1-21, NUDOCS 8902230233 | |
| Download: ML19332B548 (2) | |
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,,.[g Io, UNITED STATES t-NUCLEAR REGULATORY COMMISSION 5
>: E WASHINGTON. D. C. 20555 SEP 3 01983 MEMORANDUM FOR:
C. James Holloway, Jr., Chief License Fee Management Branch Divis:on of Accounting ~ and Finance Office of Administration and
' Resources Management FROM:
Vandy L. Miller, Chief Medical, Academic, and Commercial Use Safety Branch, NMSS
SUBJECT:
COMMENTS ON 10 CFR 170 l
This is in reference to your September 16, 1988 memorandum, requesting information on several issues. Our response follows in order your requested infomation.
A.
Lixi, Inc.
1.
In-generel, the staff effort required to review application for use of a.Lixi device is the same for both human ana incustrihl use.
2.
In general, the staff effort required to inspect a licensed program
-for use of a Lixi device is the same for both human and industrial l
use.
3.
In general, the staff effort required to review an application for human use of a Lixi device is about the same as other devices used for human use.
1 4.
To our knowledge, Policy and Guidance Directive FC 85-1 did not result in e decrease in the staff effort required to review application for use of the Lixi devices.
It was intended to ensure i
that all five Regions reviewed such request in a similar manner.
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5.
To our knowledge, Policy and Guidance Directive FC 85-1 did not result in a decreased effort required to inspect licensees.
B.
Health Physics Association, Inc.
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1.
We basically agree with Health Physics Associates connents that the service category is to broad. Some types of service company, e.g.,
Calibration Company require far less review and inspection time, than other licensee such as manufacturing company's. The following dre our answttrs for la. through ld. of paragraph B.
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i C. James.Holloway, Jr.
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Approximately 1/3 of the effort -
b.
About the same a
c.
Approximately 1/3 of the effort d.
About i of the effort We hope this information will be helpful.
If you require adcitional assistanCa, please contact Michael A. Lamastra of my staff on Ext. 23416.-
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Mer11 cay, Academic, and Commercial Use Safety Branch, NMSS P
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