ML19337A554

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Informs That Review of Fundamental Nuclear Matl Control Plan Is Complete.Recommends Deleting License Conditions 1.1,2.4, 2.5,3.1,4.8,5.1,5.2,5.3,6.1,6.2,7.1 & 8.1 & Adding License Condition 7.3 Re tamper-safing
ML19337A554
Person / Time
Site: 07001201
Issue date: 09/09/1980
From: Partlow J
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Zeff D
BABCOCK & WILCOX, BABCOCK & WILCOX CO.
References
NUDOCS 8009290266
Download: ML19337A554 (1)


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sE? s 1923 SGFL:DAH 70-1201 3abccck & Wilcox Corpar.y Nuclear Materials Division Carmercial Nuclear Fuel Plant ATTN: Mr. D. W. Zeff, :'anager Health-Safety and Licensing P.O. Box 800 Lynchburg, VA 24505 Gentlecen:

This is in response to ycur letters dated May 1,1980, ard July ic

.950, which transmitted a total revision to your Fundamental Nuclear Material Centrol Plan.

We have determined that approving this revisicn will not endanger the 1

cocm:n defense and security and that it is otherwise in the public interest to do so. Therefore, in order to incorporate this plan revision into your license, we are deleting License Conditions 1.1, 2.4, 2.5, 3.1, 4.8, 5.1, 5.2, 5.3, 6.1, 6.2, 7.1, and 8.1 and modifying and/or renumbering the remain-ing license ccnditions, as appropriate.

In addition, in order to strengthen your approach to tamper-safing, we are adding new License Ccndition 7.3.

This ccadition was discussed with Bill Powers of your staff on ?.u7ust 20, 1980, and consensual agreement concerning the acceptability a td wc" ding was reached. Accordingly, effective immediately, Amendment l'o. MPF-2 to ycur Licer.se No. SNM-ll68 is hereby revised to include the above changes, as reflected in the enc 1 sure to this letter.

We have determined that the attachments to your letters dated May 1,1980 and July 15, 1980, contain information of a type specified in iO CFR 2.790(d).

Accordingly, ; trs" ant to Section 2.79G(d)(1), such inf:rmation is deemed to be c:mercial or finricial informatien within the meanirg of 10 CFR 9.5(a)(a) and shall be subject to disclosure only in accordance w;th the provisicns of 1

10 CFR 9.12.

Sincerely, n

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L Jam s'G. P rtlow, Chief Mat ' rial Control and Accountability

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