ML20069F389

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Discusses Changes to Emergency Procedure Development Process,Per Rev 1B of WOG Ergs.Deviation Documents Being Developed to Address Differences Between Generic Guidelines & Plant Specific Emergency Procedures
ML20069F389
Person / Time
Site: McGuire, Mcguire  Duke Energy icon.png
Issue date: 05/26/1994
From: Mcmeekin T
DUKE POWER CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
RTR-NUREG-0737, RTR-NUREG-737 NUDOCS 9406080240
Download: ML20069F389 (1)


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DukeIbwer Company T C McMaw McGuire Nuclear Generation Department Mce President 12700)lqm FerryRoad(MG01\\P)

(704)8754800 1?untersalle, NC 2M78KM (704)8754809 Fat '

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DUKEPOWER May 26,1994 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, D.C. 2055

Subject:

McGuire Nuclear Station Docket Nos. 50-369 and 50-370 Changes to the Emergency Procedure Development Process

References:

Letter from T.C. McMeekin to NRC dated November 18,1992 and Letter from D.L. Rehn to NRC dated March 14,1994 In the first letter referenced above, McGuire Nuclear Station committed to upgrade / revise the existing Emergency Operating Procedures (EOPs) to Revision 1B of the Westinghouse Owners Group (WOC)

Emergency Response Guidelines (ERGS). At that time, we felt it was necessary to change our EOP development program as described in our response to NUREG-0737, Supplement 1. Those changes were outlined in the letter referenced above. The changes are consistent with changes made by Catawba Nuclear Station in the second letter referenced above.

During the current process of upgrading the McGuire EOPs to conform to the requirements of the WOG generic guidelines, several commitments made previously required deletion and/or modification to minimize the deviations from the ERGS.

Deviation documents are being developed to address differences between the generic cuidelines and the plant specific emergency procedures. There will be a deviation document for each plant specific emergency procedure written. These documents will be controlled and revised as procedures are revised.

The revised EOPs are currently scheduled for implementation at McGuire by June 30,1994. These EOPs have been revised to the process described above. Please consider this letter formal notification of changes to the EOP revision process. Any questions may bc Jirected to R.O. Sharpe, Regulatory Compliance Manager, (704) 875-4447.

Very truly yours,-

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T.C. McMeekin xc:

S.D. Ebneter, Regional Administrator, Region ll T

Victor Nerses, Project Manager j

L.L. Lawyer, Region 11 7

G.F. Maxwell, SRI

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