ML20028C012
| ML20028C012 | |
| Person / Time | |
|---|---|
| Site: | 07000025 |
| Issue date: | 08/31/1982 |
| From: | Evans L NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS) |
| To: | Remley M ROCKWELL INTERNATIONAL CORP. |
| References | |
| NUDOCS 8301050233 | |
| Download: ML20028C012 (1) | |
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"Riturn to NMSS/SGFF Mail 'Stopl881-SS"
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DISTRIBUTION:
i PDR Docket file 70-25 Case file NMSS r/f SGFF r/f s/f CRON0 AU6 31 1982 NMCl.r/f HBartz CNSmith SGFF:H8 WBrown, IE 70-25 DWeiss RPage, FC LNorderhaug, RV Rockwell International ESuarez Energy Systems Group ATTN: Dr. M. E. Ramley, Director Health, Safety, and Radiation Services 8900 DeSoto Avenue Canoga Park, California 91304 Gentlemen:
This is in response to your letter dated August 13, 1982, identified as 82 ESG-5452.
In this letter, you described a development project involving not more than 20 additional SEFOR fuel pins for a time period not to go beyond October 15, 1982.
We have determined that appmval of your development project will not adversely affect the common defense and security nor the public health and safety and is otherwise in the public interest. Accordingly, we are adding an unnumbered i
license condition to Amendment MPP-1 to your License No. SNM-21, effective immediately, to read as follows:
l Notwithstanding the requirements of 10 CFR 70.58(1) to have an approved detailed plan for the developmaat pmject on decladding l
of SEFOR fuel, the licensee shall perform this uork generally in accordance with procedurer, described in his letter identified as l
82 ESG-5452 M. E. Realey to L. J. Evans, dated August 13, 1982.
Such work shall be limited to a maximum of 50 fuel pins and shall be completed by October 15, 1982.
j We have determined that your letter dated August 13, 1982 contains information l
of a type specified in 10 CFR 2.790(d). Accordingly, pursuant to Section 2.790 (d)(1), such information is deemed to be commercial or financial information within the meaning of 10 CFR 9.5(a)(4) and shall be subject to disclosure only in accordance with the provisions of 10 CFR 9.12.
Sincerely, L. J. Evans, Jr., Chief Fuel Facility Safeguards i
l Licensing Branch
!DR Sb5 Division of Safeguards, NMSS DO K O i
C PDR t
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