ML19340B327

From kanterella
Jump to navigation Jump to search
Ack Receipt of .Requests Description & Schedule of Plans to Improve Adequacy of Existing First Aid Area & Clarification of Intent to Maintain Emergency Plan Implementing Procedures Complete & Available for Insp Use
ML19340B327
Person / Time
Site: Dresden  
Issue date: 04/22/1976
From: Allan J
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
To: Brian Lee
COMMONWEALTH EDISON CO.
Shared Package
ML19340B329 List:
References
NUDOCS 8010210879
Download: ML19340B327 (2)


Text

_ _ _ _

06th hW UNITED STATES NUCLEAR REGULATORY COMMISSION REGION 111 799 ROOSEVELT RO AO GLEN ELLYN. ILLINOl5 60137 7

'%==anwealth Edison Company Deckat No..*C-10 ATT3: Mr. Dyron Laa, Jr.

Docket No.30-237 Vice President Docket No. 50-249 P.O. Box 767 Chicago. T114nais 60690 Gentlemen:

This refers to your letter of April 2, 1976, in which you responded to concerns which we brought to your attmeinn in our letter of March 8. 1976.

'la believs that additicnal clarification is necessary as follows:

First Aid Facilities Plasse provide a description and schn'nla of your plans to

~

improve the adequacy of the existing tmporary first aid ares during the intarta period until the permanent faritity is available.

Emergency Plan Implementing Procedurca Tour response does not clearly address consolidation of implementina procedures (EPIP's) such that they are " complete and readily available for use", as discussed in our IE Inspection Eport No. 050-010/76-03. Although Regulatory Guide 1.101 " Emergency P1=ains fr,r Nucisar Power Plants",

does not mention consolidation of taptamanting proceduras, it does mention that these procaaures should, however, be 1

av=41=hle for review by the Office of Inspection and Enforcesset during routine inspections. Wo believe that all procedures==*====vy for the response function should be==in*=taad together in at lasst a few strategic locations, rather then physically separated with crose-references between related procedures. Croes>-referencing is important for idaamifie=*4a= of addi+4a==1 procedures to be implamented as acted in itsu 1.4.5 of Annaw 3 of Regulatory Guide 1.101.

Strategic enanalidatin=3 of all EPIP's (no metter what their title or funettaa Jm) assures that necessary precedures can be rapidly imple=ameed, rather than searched for and then l

'"P """"'"d*

owTro e

5 5

QQf u,,.,p 8010210 D ?

c3

Cosamonwealth Edison 3 3 y

p3 Company In addition, the interrelationship between supplementary amargency procedures and Abnormal Operation Procedures, Administrative Procedures, Radiation Protection Prcseduras, etc. is not clear.

Please clarify your intant with respect to how you vill maintain EPIP's complate and readily available for inspection and use. Also clarify the relationship of supplenantary emergency proceduras with othat plant procedures.

Sincarely yours, J. M. Allan, Chief Fuel Facility and Materials Safety Branch es:

3. Stephenson Station Superintendent bec w/ltr dtd 4/2/76:

PDR Local PDR NSIC TIC Anthony Roisman, Esq., Attorney HQ Reproduction b

D hD - - -}}