ML20054F662

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Forwards Revised Pages for Modified Amended Security Plan, Revision 2.Pages Withheld (Ref 10CFR73.21)
ML20054F662
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 06/08/1982
From: Mardis D
FLORIDA POWER CORP.
To: Harold Denton
Office of Nuclear Reactor Regulation
References
3F-0682-14, 3F-682-14, TAC-48450, NUDOCS 8206170198
Download: ML20054F662 (3)


Text

SECURITY SAFEGUAlt0 INFORMATION Q[:3(q U NAME gF R _ 7gegg g _p f.,

ef . , ORGANIZATION / I - - DATE_ _f, q%'p MK;dCp 9.j UNAUTHORIZED DISCLOSTJRE WILL BE SUBJECT TO CIVIL AND CRIMINAL SANCTIONS er_,p M

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June 8,1982

  1. 3F-0682-14 File: 3-0-12 Mr. Harold R. Denton, Director Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Se5 ject: Crystal River Unit 3 Docket No. 50-302 Operating License No. DPR-72 Security Plan Amendment per 10 CFR 50.54(p)

Dear Mr. Denton:

Florida Power Corporation (FPC) notified your office by letter dated May 3,1982, of our intention to make certain changes to our current Modified Amended Security Plan (MASP)

Revision 2 per 10 CFR 50.54(p). In answer to certain questions raised by your office on that submittal, FPC hereby submits this response which supersedes the May 3 submittal.

FPC's current MASP Rev. 2 for Crystal River Unit 3 includes two sections on provisions for guard force training. Section 1.4.3 Guard Force Training Program, covers initial training requirements for the guard force, while Section 1.4.4, Retraining, covers subsequent training requirements. These training programs were recently upgraded as part of the new Crystal River Unit 3 Security Personnel Training and Qualification (T&Q)

Plan.

In an effort to avoid confusion, FPC hereby submits five (5) sets of replacement pages for Sections 1.4.3 and 1.4.4 of the MASP, Revision 2 under the provisions of 10 CFR 50.54(p).

This change deletes the provisions for guard training as given in those sections and replaces them with reference to the new T&Q Plan.

The T&Q Plan is to be implemented over the next two years as indicated in the implementation section of the Plan. In the interim, guards will either:

a) be qualified to the training requirements of MASP Rev. 2 Sections 1.4.3 and l

1.4.4 (which will be maintained on file until the new T&Q Plan is fully implemented) and entered into the requalification program of the new T&Q Plan, or b) be qualified to the training requirements of the new T&Q Plan (in the case of new guards that are added to the force af ter training under the new T&Q l Plan has commenced and that were not initially qualified under the provisions of the MASP Rev. 2). [

egg 6 g ge ogg80 SECURITY SAFEGUARDS INFORMATION 8 F Ueneral Office 32oi Tnirty fourtn street soutn. P O Box 14042. st Petersbu;g. Florida 33733 813-866 5151 l

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SECURITY SAFEGUARDS INFORMATION Mr. Harold R. Denton June 8,1982 Page 2 We have determined that the attached revised pages contain Security Safeguards information required to be protected against unauthorized disclosure in accordance with-10 CFR 73.21. Therefore, you are requested to handle these documents accordingly.

Very truly yours, Soudl *b David G. Mardis Acting Manager Nuclear Licensing KFP:mm cc: Mr. J. P. O'Reilly, Regional Administrator Office of Inspection & Enforcement U.S. Nuclear Regulatory Commission 101 Marietta Street N.W., Suite 3100 Atlanta, GA 30303 i

i SECURITY SAFEGUARDS INFORMAil0N I

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