ML20044B421

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Responds to Technical Assistance Request Re Application of Financial Assurance Requirements in 10CFR30.35 to Utils. Financial Assurance Submission Required If Matl License Applies to Activities Performed Offsite
ML20044B421
Person / Time
Issue date: 11/06/1990
From: Glenn J
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Ronald Bellamy
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
Shared Package
ML20044B422 List:
References
HPPOS-312, NUDOCS 9011290258
Download: ML20044B421 (2)


Text

NOV 64 tgg MEMORANDUM FOR:

Ronald R. Bellamy, Chief Nuclear Materials Safety Branch, Ri FROM:

John E. Glenn, Chief Medical, Academic, and Commercial i

Use Safety Branch Division of Industrial and Medical Nuclear Safety, NMSS 1

SUBJECT:

TECHNICAL ASSISTANCE OEQUEST:

APPLICATION OF THE FINANCIAL ASSURANCE REQUIREMENTS IN 10 CFR 30.35 TO ELECTR!C UTILITIES This is in response to John Kinneman's September 19, 1990, memorandum that asked whether an electric utility that has complied with 10 CFR 50.75 must make the submission directed by 10 CFR 30.35 for its byproduct material license. Mr. Kinneman's question was prompted by the fact that many utilities have byproduct material licenses.

These licenses authorize the establishment.

of radiologically-controlled areas at the locations of contractors that have unique capabilities so that equipment contaminated with radioactive material can be decontaminated.

These licenses are used infrequently and require that the designated areas be suitable for release for unrestricted use after completion of repairs.

We referred this question to the Division of Low-Level Waste Management and Decomissioning (LLWM).

LLWM has advised as follows:

1.

If the byproduct material license is for activities performed offsite, then the 10 CFR 30.35 financial assurance submission is required.

2.

If the byproduct material license is for activities performed onsite, then the 10 CFR 30.35 financial assurance submission is not required, PROVIDED that the utility verifies that all decommissioning activities related to its materials license will be included in the 10 CFR Part 50 preliminary and final plant submittals.

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If you have any questions r;n this matter, please contact Patricia Vacca at FTS 492 0615.

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