ML20058E562

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Discusses Upcoming Renewal of Licenses SNM-287 & 42-00090-03.Single License Should Be Issued.Licenses Solely Utilized by Wireline Logging Svc Operations.Organization Manual Encl
ML20058E562
Person / Time
Site: 07000310
Issue date: 06/29/1982
From: Marks R
SCHLUMBERGER TECHNOLOGY CORP. (SUBS. OF SCHLUMBERGER
To: Miller V
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
Shared Package
ML20058E554 List:
References
NUDOCS 8207300084
Download: ML20058E562 (28)


Text

. _ _ _ _ _ _. _ _ _

SCHLUMBERGE R NORTH AMER:CA WIREttNE SERVICES 5000 GULF FREEW AY, P.O. BOX 2175 HOUSTON, TEXA5 77252-2175, (7t h 928 4521 RAW)% P. MAtk%

CINik At U LN6f L June 29,1982 Mr. Vandy L. Miller, Chief Material Licensing Branch Division of Fuel Cycle and Material Safety United States Nuclear Regulatory Commission Washington, D.C. 20555 Re: Renewal of License No. SNM-287 And No. 42-00090-03

Dear Mr. Miller:

Concerning the above-referenced license renewals, we had a telephone discussion on June 17,1982, outlining the reasons why Schlumberger would prefer to renew a single license in the name of both Schlumberger Limited ("SL") and Schlumberger Technology Corporation ("STC") as has been donc regularly since December 28, 1967, by the Nuclear Regulatory Commission ("NRC").

During the course of our conversation, which included Mr. Dorian, NRC attorney, you explained that the primary concern from the NRC's standpoint on this issue was safety.

If SL and STC handle nuclear material as separate operational entities, you advised that it would be necessary for Schlumberger to prepare documentation for the issuance of separate licenses to SL and STC.

For the reasons set forth below, we feel that it would be appropriate to handle the upcoming renewal of the above-referenced NRC licenses in a manner consistent with the practice of the prior fourteen years by issuance of a single license covering certain divisions of both corporate entities.

The NRC licenses referenced above cover nuclear material which is utilized solely by Schlumberger's wireline logging service operations in North America, commonly referred to as "N A M."

The NAM organization is headquartered in Houston, Texas, at 5000 Gulf Freeway.

Its field offices are located wherever oil and gas activity is currently underway in the United States and areas offshore the United States.

At this time there are approximately one hundred twenty (120) field offices or " districts" which report ultimately through the management hierarchy to NAM headquarters at 5000 Gulf Freeway, Houston, Texas. Districts report to Divisions. Divisions report to Units, which in turn report to NAM headquarters. See map in Attachment 1.

Those districts which perform wireline logging services engaged in activity offshore the United States are part of Schlumberger Offshore Services, a division of Schlumberger Limited (" SOS"). Those districts which handle logging services on land in the United States are part of Schlumberger Well Services, a division of Schlumberger Technology Corporation ("SWS").

8207300084 820709 PDR ADOCK 07000310 C

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f Mr. Vandy L. Miller, Chief j

Page 2 2

June 29,1982 l

The districts working under either of these corporate entities comprise the NAM i

organization. All districts ultimately report to the Vice President-Operations of NAM who in turn reports to the President of NAM. Both of these officers work at the NAM headquarters in IIouston. Both of these officers receive a portion of their salary from j

SOS and SWS. See Management Chart in Attachment II.

The safety policies formulated by NAM headquarters are applied uniformly throughout the organization and are not affected by the fact that districts happen to be part of SOS t

or SWS. More specifically, the safety policies embodied in the Field Radiation Manual, whleh forms a part of Schlumberger's NRC license, are applied uniformly and enforced by -

NAM as a single organization.

The Manager-NAM Safety works at 5000 Gulf Freeway and reports directly to the President.

C. E. Racster, NAM Radiation Safety Officer, reports directly to the Manager-NAM Safety. Reporting also to the Manager-NAM Safety in the United States are four safety officers-one for each of the four Units-East, West,' Central and SOS-Gulf Coast. These individuals are responsible for monitoring and enforcing compliance of NAM radiation safety for all districts within their respective Units. The fact that some districts may be SOS and others SWS within each Unit does not affect the enforcement of

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radiation practices. All districts ultimately report to and are managed by the same top management at NAM headquarters in Houston.

Based upon the information supplied above and in the various attachments, including an l

affidavit executed by the President of NAM, we feel that the issuance of single licenses is entirely consistent with the radiation safety imperatives embodied within the NRC regulatory system. Consistent, however, with our telephone discussion, we ~ feel that it would be reasonable for Licenses No. SNM-287 and No. 42-00090-03 to be issued so that they each cover more precisely the U.S. corporate entities which comprise the NAM organization. Accordingly, we recommend that each of the above licenses should be renewed in the names of Schlumberger Well Services, a division of Schlumberger Technology Corporation, and Schlumberger Offshore Services, a division of Schlumberger Limited.

In the event that we may be of any further assistance on this license renewal matter, please do not hesitate to contact the undersigned or C. E. Racster, NAM Radiation Safety Officer.

We appreciate the NRC's cooperation on this matter, and look forward to the renewal of our new licenses within the near future.

Very truly yours, i

Ramon P. Marks General Counsel RPM /mjw Attachments

A F FID A VIT Tile STATE OF TEXAS COUNTY OF IIARRIS BEFORE ME, Mary Jayne Winey, a Notary Public for the State of Texas, on this day personally appeared IAN STRECKER, Affiant, who being by me here and now duly sworn, upon oath says:

"My name is Ian Strecker and I am President of Schlumberger North America Wireline Services (" NAM") headquartered at 5000 Gulf Freeway, IIouston, Texas.

Attached to this affidavit is a letter dated June 28, 1982, addressed to Mr. Vandy L.

Miller, Chief, Material Licensing Branch, Division of Fuel Cycle and Material Safety, and written by Ramon P. Marks, General Counsel of NAM.

In my capacity as President of NAM, I am thoroughly familiar with the business and organization of NAM and state from my own personal knowledge and from my own investigation of the facts that the statements made by Mr. Marks in the above-described letter are true to the best of my knowledge and belief."

Further, Affiant saith not.

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k IAN STRECKER, President Schlumberger North America Wireline Services SUBSCRIBED AND SWORN TO BEFORE ME, by the said IAN STRECKER, this 28th day of June,1982, to certify which witness my hand and seal of office.

Notary Pu61idorAhe State of Teras MARY JAYNE WINEY Notary Putilec for the State of Texas My Commission Dpires May 31,1985 1

A F FID A VIT TiiE STATE OF TEXAS COUNTY OF IIARRIS BEFORE ME, Mary Jayne Winey, a Notary Public for the State of Texas, on this day personally appeared IAN STRECKER, Affiant, who being by me here and now duly sworn, upon oath says:

"My name is Ian Strecker and I am President of Schlumberger North America Wireline Services (" NAM") headquartered at 5000 Gulf Freeway, llouston, Texas.

Attached to this affidavit is a letter dated June 28, 1982, addressed to Mr. Vandy L.

Miller, Chief, Material Licensing Branch, Division of Fuel Cycle and Material Safety, and written by Ramon P. Marks, General Counsel of NAM.

In my capacity as President of NAM, I am thoroughly familiar with the business and organization of NAM and state from my own personal knowledge and from my own investigation of the facts that the statements made by Mr. Marks in the above-described letter are true to the best of my knowledge and belief."

Further, Affiant saith not.

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IAN STRECKER, President Schlumberger North America Wireline Services SUBSCRIBED AND SWORN TO BEFORE ME, by the said IAN STRECKER, this 28th day of June,1982, to certify which witness my hand and seal of office.

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Notary Pffblig fo/the State of Teras MARY JAYNE WINEY Notary Public for the Etate of Texas My Commission Expires May 31,1985

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RADIATION SAFETY TRAINING FOR SCHLUMBERGER ENGINEERS A Junior Field Engineer in the East Unit undergoes 9 weeks of formal training at the Learning Center. During the third week we start training on two tools which use radioactive sources. At this time we also start training on radioactive safety which consist of a I4 hour lecture by an instructor on the learning center staff. A test (enclosed) is administered over the material and a grade of 80 must be maintained. If not, then remedial instruction and re-taking of the test are in order.

1 Below is an outline of the lecture session along with references used.

1.

Basic nuclear radiation theory a)

Atomic structure b)

Alpha, beta, gamma radiation c)

Natural radioactivity 2.

History of Schlumberger uses of radioactivity a)

Measurement of natural gamma rays b)

Use of gamma rays to determine density c)

Use of neutrons to determine porosity 3.

Prob! cms that Schlumberger has encountered a)

Biological effects of gamma radiation and neutron radiation b)

Contamination due to loose radioactive materials Ie.

Methods developed by Schlumberger to reduce and/or eleminate these hazards a)

Adequate shielding b)

Simple handling procedures c)

Wipe tests d)

Insistence that rules be followed without exception

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Results were that Schlumberger people receive less than 25% of " Maximum permissable dose" as set by NRC.

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Government regulations:

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AEC started in 1954 (af ter Schlumberger)' controlled:

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By-product materials Ce 137, Co 60 2.

Special Nuclear Materials (Pu 239) 3.

Source Materials (U, Th)

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Does not control Ra 226 c)

Individual states control everything else in agreement with Federal Government (called agreement states) o F

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Radium c,

2.

X-ray machines t

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Other radiation producing devices

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NRC now has the function of old AEC

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How exposure is measured:

a) rem - definition P.-

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Curie - definition

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Known exposures and their results:

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j a) 25,000 mrems - no detectable effect' 4

b) 50,000 mrems - slight temporary blood change I

c) 100,000 mrems - nausea, fatigue, vomiting 4

d) 200,000 -250,000 mrems - weak will die l?

e) 500,000 mrems - very good chance of death

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9.

Exposure is inevitable but must be kept to a minimum:

a)

Time of exposure a

b)

Distance from source

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Shielding between you and source 5

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Work problem to calculate exposure in 1/2 hour, 5 feet from our.de 137~

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source.

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The permissible occupational exposure per calender quarter of d person 18 >

years of age is: 1250 mrems.

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Explanation of. bow..Schlamberger measures exposure of each individual employee.

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The' TLD Badg'e '.

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Explanation,of quarterly report

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Description of sources that) will be encountered in Schlumberger Open Hole r....

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a) dm24( Be used in Norosity Measprement and in Calibration Jig 7<

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1. l Strengths, hajf life, emissions j

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How packaged 3$

Emission pattern

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Distance to 2 mrem field.

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Ce I37 used in Density Measurements and in Calibration Jig

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How packaged

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Distance to 2 mrem field 226

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Ra calibntion source

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Strength, half life) emissions f..

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How packaged

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Emission pattern

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Distance to 2 mrem field

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Clear all unnecp.$.ry pehsonnel from the area.

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Locate,the sh'ield a convenient distance from the well.

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~Loca*4 hole c.over and cover the hole.

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/ Lec. ate source pin wrench and source handling tool convenient to the

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f) #$ 'bo over steps of loading source with your assistant so he can be positioned to help and to minimize his exposure.

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Schiumberger rules for handling and transporting Sources:

a)

Lockesi shield must be chained and locked to integral part of truck i

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using a clevis (not hasp of lock) during transport.

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operators-arevesponsible. (Includes any transport vehicle.)

b)

So'urce must be locked in shield when not in use. Must be chained to truck until.needed, then after use immediately re-locked to the truck.

c)

DOT Radioactive sign must be displayed when carrying sources on the truck-removed when no sources are carried.

d)

Cover the hole when transferring the source from the shield to the tool. Engineer and Operator are responsible.

e)

Only the engineer can transfer the source using the remote handling tool.

f)

Loss of any source or suspected overexposure must be reported to Houston through line management, immediately.

16.

Source storage a)

Sources are to be removed from the truck and stored in the fixed facilities at the district when not in transit to or from the well site or at the well.

b)

Controlled area (fenced) 1.

2 mrem / hour.

c)

Uncontrolled are (unfenced) 1.

.6 mrems/ hour.

17.

Telephone reports:

a)

When b)

Who 18.

Wipe tests:

a)

Purpose b)

How of ten c)

Procedure d)

Labels required on shields e)

Hands-on, every student wipe tests each source.

19.

Fishing operations:

a)

Procedures e

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References used by the student --

1.

Radiation Sources & Control Book. Schlumberger " Yellow Book" used as the Bible. One at every district and Learning Center.

2.

Field Operation Manual.

5 volume set which every engineer is issued.

Section on Radiation Safety and Fishing Operations.

3.

Working with Radiation. Pamplet prepared by Schlumberger.

4.

Basic Radiation Theory. Training manual for Junior Field engineers prepared by Schlumberger.

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5d1LUMBERGER RADIOACTIVITY EXAMINATION Engineer (please type or print)

(signature)

Social Security Number District i

1.

The biological effect of radiation depends on the type (alpha, beta, ganma, neutron or X-rays) and the energy.

With the application of a factor of " relative biological effect", the is the comnon un i t used to measure the doses from all types of radiation.

2.

The maximum routine whole body radiation dose per calendar quarter permi t ted under NRC and/or state regulations is 3.

Schlumberger requires all sources to be wipe tested:

a.

every 2 months b.

every 3 months c.

every 5 months d.

every 6 months 1

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The maximen quar ter ly dose a person may be permitted to receive is providing the

" Bank Account" principle (5,000 mrem /yr for each year over

18) is not violated.

5.

The quarterly permissible dose must be absorbed uniformly throughout-the period.

a.

TRUE b.

FALSE 6.

It has been determined that a dose of approximately must be absorbed in a short time (24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> or less) to produce a change in the blood count larger than that caused by variations due to a cold, infection, lack of sleep, etc.

7.

Exposure during source transfer can be minimized by prior planning.

Write at least four steps you could take prior to transferring a source from a tool to its carrying shield that would accomplish this objective.

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8.

Reduce the dista'nce'"betweenyou and a radiation source to one-half and you increase the exposure rate by a factor of:

a.

Two b.

Four c.

Eight 9.

If the strength of a source is doubled (using the same isotope) the exposure rate is increased by a factor of:

a.

Two b.

Four c.

Eight 10.

The three factors commonly used for protection against a source of radiation are time, shielding, and 11.

The maximum radiation field f ran an unshielded ISO millicurie source (cesium 137) is 2 mrems/hr at 180".

What dose would an individual receive in 30 minutes at 5' from the source?

Show calculation.

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12.

In your own words, briefly explain why Schlumberger in particular is so' co'ncerned ~about radiation safety.

13.

Radium is controlled by only.

14.

The greatest concern, if a No. 6 radium test source is lost or stolen should be for:

a.

Its replacement cost b.

its ganma radiation c.

the damage an individual would suffer if the radium were ingested i

15.

The maximum radiation level a 1icensee is permitted (without special authorization) to produce in an uncontrolled area is miiirems per hour.

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16.

List the six MANDATORY rules.for handling and transporting radioactive sour'ces' stated in the RS section of t h e Fai.i n

.the " Working with Radiatio " b rochure.

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17.

DOT regulations require that all Radioactivity signs be removed or reversed when no radioactive material is being carried.

a.

TRUE b.

FALSE t

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Failure to comply with the regulations listed in the RS l

section of t he FG1 can result in discharge for:

a.

the engineer l

b.

the operator (s) l c.

both (a) and (b) above i

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Packing, labeling, and shipping instructions for each source used by Schlumbe'rge'r are found in:

a.

FGi Vo l ume I I I b.

Schlumberger " Working with Radiation" brochure c.

Radiation Sources and Controls Manual d.

Service order fine print 20.

Name at least four cases in connection with a source lodged in a well which require telephone notification to Houston.

(Two points for each of-four correct answers) 21.

Name at least two incidents (other than those associated with a lodged source) which require telephone reports to t

Houston.

(Two points-for each of two correct answers) 22.

What action should be taken if there is a delay of as much i

as an hour in notifying Houston after a source is stolen or lost on the surface?

a.

notify the NRC and/or state licensing agency b.

notify the local news media c.

ask for assistance from police or highway patrol

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d.

alert the Civil Defense Group page 7

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23.

Radiation patterns for each source, plotted in vertical and-horizontal p l a n e's, 'a'r e in the " Sources and Controls" manuals-which.1s.not normally at a well site.

However, the Field Operations manual contains the information needed to calculate the maximum exposure rate at any distance from any source.

It i s " Distance to millirems / hours level i n maximum radiation field",

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ATTACHMENT ANSWERS TO SCilLUMBERGER RADIOACTIVITY EXAM 1.

Rem, millirem (either) 2.

1250 millirem 3.

(c) every 5 months 4.

3000 mr 5.

(b) false 6.

20-25 rem (either answer acceptable) 7.

Make sure handling tool is operating freely.

Keep inside of shield clean and dry.

Bring shield close to logging tool.

Clear area of other personnel.

Keep handling " button" clean and free of obstructions.

Make sure source cavity (in logging tool) is clean.

Make sure source cavity is free of burrs.

Any four of the above acceptable.

8.

(b) four 9.

(a) two 10.

Shielding 2

2{fX1/2hrXfl8 11.

2.25 mr

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20 12.

No pat answer for this essay question.

Answer may include concern for employees, concern for rig crews, concern for general public, our image, legal liability, etc.

13.

States, state agencies, not NRC or something similar.

14.

(c) damage if ingested 15.

0.6 mr/hr 16.

See attachment 17.

(a) truc 18.

(c) both 19.

(c) Radiation Sources S Controls 20.

(1)

The client initiates a fishing operation contrary to Schlumberger's advice.

(2)

The client. refuses to initiate an advised fishing operation.

(3)

The source is stuck in an open hole and the cable or weak point has been broken.

(4)

The source is stuck in an open cable tool hole.

(5)

The source capsule is in danger of being damaged.

(6)

The source is not recovered in the first fishing attempt.

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Abandonment of the source seems imminent.

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Mud returns shown an increase in radioactivity.

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Over exposure to personnel.

l Interest by media in our radiation operations.

Loss or theft of source.

22.

(a) notify NRC and Agreement State j

23.

Two millirem /hr.

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Confidential RADIATION SAFETY I.

SCHLUMBERGER REGUI.ATIONS Schlumberger began using large and potentially hazardous radium-beryllium neutron sources in 1950. There was no agency controlling the use of radioactive materials at that time. Management decided to protect personnel and property by: (1) providing the best sources obtainable (2) designing adequate shields with built-in safety features; (3) issuing simple instructions for the use of the sources and equipment; (4) insisting that the instructions be followed without exception. The system was effective. Tens of thousands of operations were performed without a single incident of overexposure to personnel.

The following six rules for handling and transporting radioactive sources must be followed at all times:

1.

The locked shield must be chained and locked to an integral part of the truck during transport. This includes trans-port vehicles, lift boats, offshore pallets, etc.

The engineer and each operator on the crew are responsible.

2.

A source must be kept locked in its shield when not in use.

It must not be unchained from the truck until it is needed at the well and must be immediately rechained and locked to the truck after the operation.

3.

" RADIOACTIVE" signs must be displayed on the truck when radioactive sources or materials are being t ansported, in accordance with Federal, State, local rules.

They must be removed or reversed when no 1-urce or radioactive material is aboard.

4.

Cover the hole. The well must be covered when a source is being transferred from the shield to the tool and from the tool to the shield. The engineer and each operator on the rig floor are responsible.

5.

The engineer must personally transfer the radioactive source,-using the remote handling tool.

l 6.

The loss of any radioactive source or l

material, or any suspected overexposure, nust be reported immediately to line I

management and/or Headquarters.

All engineers should be familiar with the yellow-bound manual,

  • Radiation Sources and Controls." Each location worldwide has l

a copy.

April, 1975 I-l Radiation Safety

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[ggjy' SAFETY UNIT DIRECTOR OF 1

PERSONNEL k4NEdLTHi

' M ARKETING INDUSTRY ATTORNEY r.

MANAGER

,. i MANAGER A FF AIRS

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1 J.L. Colson R.S. B ea t y T. L. F aulkner T. O'N eil TEC HNIC A L UNIT MANAGER CONTROLLER W.C. W alter J. A. Labuda l

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I ALASKA P A CIFIC EAST ROCKY WEST ROCKY COAST M O UN T AIN MOUNTAIN DIVISION DIVISION DIVISION DIVISION MANAGER MANAGER MANAGER MANAGER J.R. C r e e k H.W. Lov e L.H. Sp e e d M. Tournereau l

A P P totfoL5 NuutEt O RG AN IZ ATIO N MANUAL Vol.1 - 9 PAGE NO.

1 of 7 j

l R E vi5 tO N DATE U

- Schlumbergey 5-15-82 SUPE R5E DE S 2-01-82 sutJECT USA CENTRAL - FIELD MANAGEMENT p.

~q vicE PRESmENT

-4 m

C i OPERATION 8'

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MANAGER

.y USA CENTRAL :

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c. i A.J. McCrocsy I'-

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" UNIT DIRECTOR OF 4 UNtf

. SAFETY & I

' _ MARKEYING INDUSTRY PERSONNEL TECHNICAL UNIT HEALTH

. MANAGER AFFAIRS MANAGER MANAGER CONTROLLER

s.,

L.N. R6E f

'R.Geoden W. H. Hartsee S.E. Mele C.G. Alcock R.E. Albon i

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I KANSAS CENTRAL ARK-LA-TEX NORTH TEXAS MID-CO NTINENT PERMIAN BASIN CASED HOLE OlV. MANAGER DIV. MANAGER OlV. MANAGER DIV. M AN AGER DIV. M AN AGER C.R. M c M a t h J.B.Maxwen M.K. Robson E. T. Lobsack M. P. Hancock R.K. Chambera l

GPPROVALS Nuusta O RG AN IZ ATIO N MANUAL Vol. 1 - 5 race No.

l Elvl5LON DAf t Schlumberger 5-15-82 5UPtR5tDE5 2-01-82 SUBJECT SOS GULF COAST - FIELD MANAGEMENT i

ves,ReseENT.

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[' BOS-SUL COAST

' " f"3 VICE PRE 8tOENT

~.. & GENERAt. ~

MANAGER.~

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' O.P.Sime -

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I LMANAGER'

'ihAftKETING DIRECTOR OF TECHNICAL l

..-E A. T

' M AGER INDUSTRY t

MANAGER AFFAIRS

- A.J.Accordo P. M. Freeman A.P e r e z

. L.B.Gu tm an OSU PERSONNEL ANAGER NUMM WNU COORDINATOR J.F.F o w le r J.M.W e s t J. A. Bandrowski A. Field I

l OFFSHORE OFFSHORE OFFSHORE D S ON D S ON J.G. Guillotte R. A.S h a r p R.E.J e n s e n

ATTACilMENT TEMPORARY STORAGE ON TRUCKS A truck placarded for explosives (carrying Class A or B explosives) may not be left unattended - the only exceptien would be in an approved " safe haven" as defined by DOT.

A truck carrying Class C explosives (no explosives placard) and/or a truck placarded " Radioactive" may not be 1cft un-attended on a highway or public street nor on the shoulder of a highway or public street.

A truck carrying Radioactive Materials and/or Class C explosives (radioactive placard /no ex plosives placard) may be Icf t unattended on private property (e.g., well site, motel / restaurant parking lot) provided:

1.

All explosives are in locked compartments.

2.

All radioactive sources are in proper transportation packages (labeled, locked, etc.)

3.

All radioactive transportation packages are locked to the truck.

4.

All transportation packages are in a locked compartment on the locked recorder cab.

5.

" Radioactive Materials - Keep 7 Feet Away" sign is displayed on each compartment door and each recorder cab door if the compartment on recorder cab contain radioactive sources.

6.

Prior to leaving the truck unattended, a physical check is made to assure all source packages are present and properly locked in place.

7.

Immediately on return to the truck, a physical check is made to assure all source packages are present and locked in place.

8.

None of the above affects our policy regarding radioactive storage at the facility (district).

When a truck returns to the facility, sources must be unloaded from the truck and stored in pits or cabinets.

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l Part Number: C-Il594 KIT FOR WIPE TEST This envelope contains i

One piece of filter paper in a glas.

INSTRUCTIONS: perform wipe Test per instructions I

sine envelope

' ' ' h" P"dI'"'"' ' '- ' " ' ' ' ' '33

P"P 3" 8'""ine envelope. Insert glassine envelope in metal lined bog.

One metal lined bag with dato card Fold metal lined bog on dotted lines (three folds). Press each crease firmly. Fill in form. Insert sealed metal line One mailing envelope.

bag in preaddressed envelope and mail. Weight of ki ready to mail to Houston, Texas _10 grarps og % on.

Schlumberger Well Services HOUSTON, TEXAS PRINTED IN U.S.A.

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SPECFIC INSTRUCTIONS FOR WIPING EACH SOURCE PACKAGE 1.

LDT and POT Sourcest GSR-B in GCS-H, GCS-L, or GCS-R FGT-B,C Sources:

GSR-J in GCS-H, GCS-L, or GCS-R Equipment needed:

o Handling tool o

U-shaped holding tool o

3/8" Allen wrench o

0-rings:

  1. B-013751 (GPV-A)
  1. B-015387 (GPV-C)
  1. B-Ol6207 (GPV-D)
  1. B-023669 (GPV-E) a.

Unlock carrying shield. Open carrying shield lid.

b.

Before removing the pressure vessel, note the source serial number stamped on top of the pressure vessel, Screw the handling tool into the top of the pressure vessel, and lift the pressure c.

vessel until the two grooves are above the carrying shield (check picture).

d.

Secure the lifted pressure vessel with the U-shaped holding tool.

Using the screwdriver, pop the snap-ring to the open position.

e.

f.

Unserew the pressure vessel cap with the Allen wrench.

g.

Using the handling tool, remove the pressure vessel cap.

h.

Wipe the inside of the pressure vessel cap on the moistened filter paper.

i.

Replace the O-rings on the pressure vessel cap.

Obsolete. Being replaced by GCS-R.

January 1982 VI-P4

3

,7 I

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  • L j.

Place the cap back on the pressure vessel with the holding tool. Secure the cap in place with the Allen wrench.

k.

Put snap ring in locked position.

t 1.

Remove u-shaped handling tool.

m.

Close and lock the carrying shield lid.

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January 1982 VI-P5

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