ML20059L430

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Responds to Re Revised Pages for Hematite Nuclear Fuel Mtg Facility Fnmcp.Rev to License Condition 1.1 to Safeguards Amend SG-1 to License SNM-33 Being Issued
ML20059L430
Person / Time
Site: 07000036
Issue date: 09/17/1990
From: Sherr T
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Conant J
ABB COMBUSTION ENGINEERING NUCLEAR FUEL (FORMERLY
References
NUDOCS 9009260315
Download: ML20059L430 (1)


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  • i 70-36 M RC File center RBurnett Docket File 70-36 TSherr ABB Combustioi Engineering, Inc.

PDR Messier, LFMB Nuclear Power Systems SGDB r/f CHaughney, IMSB ATTN: Mr. John F. Conant, Manager Case File ESparez Nuclear Materials Licensing SG Amendment File TNFnam 1000 Prospect Hill Road P. O. Box 500 Windsor, CT 06095-0500

Dear Mr. Conant:

This is in response to your May 18, 1990 letter which transmitted revised pages for the Combustion Engineering, Inc., Hematite Nuclear Fuel Manufacturing Facility Fundamental Nuclear Material Control Plan.

We have reviewed the revised pages and have determined that the reytsions do l

not adversely affect the common defense and security or the publ c nealth and safety, and that they fall under the provisions of 10 CFR 70.32(c). Accordingly, we are revising License Condition 1.1 to Safeguards Amendment SG-1 to your License No. SNM-33, effective inanediately, to read as follows:

1.1 The licensee shall follow Chapters 1.0 through 9.0 of its Fundamental Nuclear Material Control Plan dated January 1986 as revised by pages all dated May 18,1990(Revisions 1&2).

Revisions to this Plan shall be made in accordance with the provisions of either 10 CFR 70.32(c) or 70.34.

18, 1990 letter contain We have determined that the enclosures to your May(d). Accordingly, pursuant toSection2.790(d)(ypespecifiedin10CFR2.7901), such information is deemed to be com information of the t l

financialwithinthemeaningof10CFR9.17(a)(4)andshallbewithheldfrom public disclosure unless subject to the provisions of 10 CFR 9.23.

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In the future, correspondence relating to MC&A or Physical Security Safeguards matters should be addressed to the undersigned.

Sincerely.

Theodore S. Sherr, Chief Donestic Safeguards and Regional Oversight Branch i

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