ML20071H753

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Statement of Matl Fact as to Which There Is No Genuine Issue Re Reed Contention 9 on Radiological Exposures
ML20071H753
Person / Time
Site: Callaway Ameren icon.png
Issue date: 05/20/1983
From: Bauser D
SHAW, PITTMAN, POTTS & TROWBRIDGE, UNION ELECTRIC CO.
To:
Atomic Safety and Licensing Board Panel
Shared Package
ML20071H409 List: ... further results
References
ISSUANCES-OL, NUDOCS 8305250463
Download: ML20071H753 (2)


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May 20, 1983

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i" UNITED STAT F. AMERICA NUCLEARREGULATR{h,CdMMISSION

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ava BEFORE THE ATOMIC SAFET O _

LICE BOARD

  • Md>O7 In the Matter of

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UNION ELECTRIC COMPANY

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Docket No, STN 50-483 OL

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(Callaway Plant, Unit 1)

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APPLICANT'S STATEMENT OF MATERIAL FACTS AS TO WHICH THERE IS NO GENUINE ISSUE TO BE HEARD (REED CONTENTION 9)

Pursuant to 10.C.F.R.

6 2.749(a), Applicant states, in support of its motion for summary disposition of Reed Conten-tion 9 in this proceeding, that there is no genuine issue to be heard with respect te the following material facts:

1.

Workers will be provided at the time protective response is called for with a low range dosimeter such as the.

CDV-138 (0-200mR), a high range dosimeter such as the CDV-742 (0-2OOR), and a thermoluminescent. dosimeter (TLD).

2.

Workers are instructed to read their dosimeters every 30 minutes.

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3.

Workers are-tastructed to leave their emergency station if their. readings become critical and to report to decontamination centers for survey-and-decontamination.

4.

Workers will be directed away from areas of high radiation concentration.

5.

' Workers.will report to the nearest predesignated decontamination center at the conclusion'of the emergency.

6.

Skin contamination from exposed workers is not a t

significant problem.

The priority in the context of a radio-logical release is to reduce potentially significant exposures to gamma radiation.

7.

Emergency workers will be thoroughly trained to use radiological monitoring equipment, to understand Roentgen / Rem i

equivalences, and to take appropriate protective actions, including self-decontamination.

Respectfully submitted, SHAW, PITTMAN, POTTS & TROWBRIDGE M /$. Awar Thomas A.

Baxter,=P.C.

Deborah B.

Bauser Counsel for-Applicant 1800 M Street, N.W.

Washington, D.C.

20036 (202)'822-1000 May 20, 1983 s

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