ML20059F950

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Approves Return of Slightly Contaminated Soil to Original Location Since Action Does Not Constitute Disposal of Radioactive Matl Per 10CFR20.302
ML20059F950
Person / Time
Site: Armed Forces Radiobiology Research Institute
Issue date: 01/12/1994
From: Weiss S
Office of Nuclear Reactor Regulation
To: Bumgarner R
ARMED FORCES RADIOBIOLOGICAL RESEARCH INSTITUTE
References
NUDOCS 9401180048
Download: ML20059F950 (4)


Text

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January 12, 1994 Docket No. 50-170 Dr. Robert Bumgarner, Director Armed Forces Radiobiology Research Institute Naval Medical Command, National Capitol Region Bethesda, Maryland 20814

Dear Dr. Bumgarner:

SUBJECT:

SLIGHTLY RADI0 ACTIVE MATERIAL DISPOSAL PROCEDURES By letter of December 27, 1993, you proposed the return of slightly contaminated soil to its as found location on your site, adjacent to the reactor facility in accordance with the provisions of 10 CFR 20.302.

This action does not cause additional movement, storage, or alternate disposal location of the material. We have reviewcd your proposed plan for the l

material which included a radiological evaluation of the material, potential exposure pathways, and a calculated annual dose to the maximally exposed individual (0.02 mrem). Based on our review and the fact that this radioactive material was generated under routine operations, the return of the slightly contaminated soil to its original location is an acceptable action.

In accordance with the provisions of 10 CFR 50.75(g), all relevant information pertaining to this material is to be kept in an identified location until your-license is terminated by the Commission.

Since the above action does not constitute disposal of radioactive material, a request for approval of a disposal procedure in accordance with 10 CFR 20.302 (new 20.2002) is not required.

If you have any questions on this matter, please contact Marvin Mendonca of my staff at (301) 504-1128.

Sincerely, Original signed by:

Seymour H. Weiss, Director Non-Power Reactors and Decommissioning Project Directorate Division of Operating Reactor Support Office of Nuclear Reactor Regulation cc: See next page DISTRIBUTION:[AFRRI.MMM] (Mendonca)

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Docket No. 50-170 Dr. Robert Bumgarner, Director Armed Forces Radiobiology Research Institute Naval Medical Command, National Capitol Region Bethesda, Maryland 20814

Dear Dr. Bumgarner:

SUBJECT:

SLIGHTLY RADI0 ACTIVE MATERIAL DISPOSAL PROCEDURES By letter of December 27, 1993, you proposed the return of.s ghtly contaminated soil to its as found location on your site,,CFR 20.302.

adjacent to the reactor facility in accordance with the provisions of 1R This action does not cause additional movement, storage, o[ alternate disposal location of the material. We have reviewed your prpposed plan for the material which included a radiological evaluation,cf the material, potential exposure pathways, and a calculated annual dose t'o the maximally exposed f

individual (0.02 mrem).

Based on our review and the fact that this radioactive material was generated under rout'ine operations, the return of the slightly contaminated soil to its original'1ocation is an acceptable action.

In accordance with the provisions of 194FR 50.75(g), all relevant information pertaining to this material is to beMept in an identified location until your license is terminated by the Commjssion.

Since the above action does onstitute disposal of radioactive material, a request for aoproval of posal procedure in accordance with 10 CFR 20.302 i

(new 20.2002) is not rep red.

staff at (301) 50,4/estions on this matter, please contact Marvin Mendo If you have any qu 128.

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Sincerely, Brian K. Grimes, Director

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January 12, 1994 Docket No. 50-170 Dr. Robert Bumgarner, Director Armed Forces Radiobiology Research Institute Naval Medical Command, National Capitol Region Bethesda, Maryland 20814

Dear Dr. Bumgarner:

SUBJECT:

SLIGHTLY RADI0 ACTIVE MATERIAL DISPOSAL PROCEDURES By letter of December 27, 1993, you proposed the return of slightly contaminated soil to its as found location on your site, adjacent to the reactor facility in accordance with the provisions of 10 CFR 20.302.

This action does not cause additional movement, storage, or alternate disposal location of the material. We have reviewed your proposed plan for the material which included a radiological evaluation of the material, potential exposure pathways, and a calculated annual dose to the maximally exposed individual (0.02 mrem).

Based on our review and the fact that this radioactive material was generated under routine operations, the return of the slightly contaminated soil to its original location is an acceptable action.

In accordance with the provisions of 10 CFR 50.75(g), all relevant information pertaining to this material is to be kept in an identified location until your license is terminated by the Commission.

Since the above action does not constitute disposal of radioactive material, a l

request for approval of a disposal procedure in accordance with 10 CFR 20.302

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(new 20.2002) is not required.

If you have any questions on this matter, please contact Marvin Mendonca of my staff at (301) 504-1128.

Sincerely, W

j Seymour H. Weiss, Director Non-Power Reactors and Decommissioning Project Directorate Division of Operating Reactor Support Office of Nuclear Reactor Regulation cc:

See next page 1

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- Armed Forces Radiobiology Research Docket No. 50-170 Institute cc:

Director, Maryland Office of Planning 301 West Preston Street Baltimore, Maryland 21201 County Executive Montgomery County Government-Rockville, Maryland 20850 Reactor Facility Director Armed Forces Radiobiology Research Institute National Naval Medical Center Bethesda, Maryland 20814 d

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