ML20039H296

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Responds to Re Request for Approval to Conduct Physical Inventories for Low Enriched U at Intervals Not to Exceed 210 Days.Condition 4.2 to Amend MPP-2 to License SNM-1168 Is Revised
ML20039H296
Person / Time
Site: 07001201
Issue date: 09/09/1981
From: Randy Erickson
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Zeff D
BABCOCK & WILCOX CO.
References
NUDOCS 8201200114
Download: ML20039H296 (2)


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" Return to NMSS/SGML, Mail Stop 881-SS" DISTRIBUTION:

SGML:HB PDR Docket file 70-1201 70-1201 SEP S 1931 3

Case file NMSS r/f MCL r/f SGPL Babcock & Wilcox Company HBartz Nuclear liaterials and Managemeat Division RBrightsen ATTN: Mr. D. W. Zeff,!!anager 0 Weiss Health-Safety and Licensing FGillespie, RES P. O. Box 800 WBrown, IE Lynchburg, Virginia 24505 RPage, FC EMcAlpine, Reg. II Gentlemen:

This is in response to your letter dated July 9,1981 in which you requested approval to:

1.

Conduct physical inventories for low enriched uranium at intervals not to exceed 210 days with a minimum of two inventories per calendar year; 2.

Eliminate control charts for those measurement systems excluded from limit of error for inventory calculations by License Condition 4.3.

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We have determined that the granting of your requests will not endanger the common defense and security and is othensise in the public interest.

Your request is hereby approved, effective immediately. The implementation of your request for physical inventory has been accomplished by NRC i

approval of new Page 5.1, Revision D to your Fundamental Nuclear Material Control Plan.

License Condition 4.2 to Amendmer.t MPP-2 to License No. SNM-ll68 is revised to read as follows:

i 4.3 Notwithstanding 10 CFR 70.57(b)(8) and (10), the licensee is not required to consider the contribution to LEID of those systens whose combined systematic and random error components contribute less than 100 grams U-235 each to LEID, provided the otal contribution of such systeas does not exceed 400 grams of U-235.

In addition, the licensee shallnot be required to maintain control charts of replica a fur measurement systems noted above as may be required by 10 CFR s%

9 6A1 70.57(b)(ll).

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The revised Page 5.3 of your HIMC Plan should be clarified as to acq?ept- ^ ;,M.

3 reject criteria. This has been discussed with W. Powers of your staff DQ on September 4,1981 by H. Bartz.

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i It has been established that your letter dated July 9,1981 and its enclosure contain infomation of a type specified in 10 CFR 2.790(d).

Accordingly, pursuant to Section 2.790(d)(1), these are deemed to be commercial or financial infomation within the meaning of 10 CFR r

l 9.5(a)(4) and shall be subject to disclosure only in accordance with i

the provisions of 10 CFR 9.12.

Sincerely, L

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l Robert A. Erickson, Actfag Chief Material Control and Accountability i

Licensing Branch I

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