ML20127F113
| ML20127F113 | |
| Person / Time | |
|---|---|
| Issue date: | 12/10/1969 |
| From: | Jennifer Davis NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II) |
| To: | Venable J GEORGIA, STATE OF |
| Shared Package | |
| ML20127E447 | List:
|
| References | |
| FOIA-84-737 NUDOCS 8505200327 | |
| Download: ML20127F113 (7) | |
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Ar w.T 4. c,e <u.o.. m DEC 10 M9 John H. Venable, M.
D., Director Georgia Department.of Pablic Health 47 Trinity Avenue Atlanta, Georgia 30334 a
Dear Dr. Venable Pursuant to the Agreement between tho *,:. S. Atomic Energy Commission and.
the State of Georgia, we are transferring to you the record material in our files for Georgia licensos issued under Title 10 Code of Fodcral Regulations', Parts 30 and 40, and thoso licenses under Part 70 which do not involve total quantities of material authorized to be possessed by, a licensee sufficient to form a critical mass.
This file material transferred to Georgia includes the license fila information for 221 byproduct material, two source and five special nuclear material licenses which we have identified as Group I.
Following the effective dato of the Acrocmont, the ACC no longer performs regulatory functions for activities included in Group I licenses.
Enclosed with this lotter is a list of Group I licenses for which file material has been transferred.
Copies of file material for 14 byproduct material licenses which we have identified as Group 11 have been transferred. Those licenses involvo activities which will be of continuing interest both to the Atomic Enorgy Co:miission and to Georgia since these licenses authorize activities both under the jurisdiction of coorgia and the Atomic Energy Commission.
Following the effective date of the Agreement, for these licensos the 3
AEC performs its regulatory functions only for the activities under Federal jurisdiction. A list of Group II licenses is enclosed.
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certain c.uantitics of Lypeduct ;:. '.:.c.-i 1.
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-GROUP T Pag 5
i License No.
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135 Lawrenceville-0winnett County Civil Defense 10-11417-01 Municipal Building Lawrenceville, Georgia 10-13068 136. Lee, Thomas R.
.s 467 Gorden Road j
Mableton, Georgia 30059 137 Linden Iaboratorie,.Inc.
3 10-06434-01 f
Subsidiary of the Upjohn Company.
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138. Lockheed Aircraft Corprati-;?**
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10-61425-05 139 Lockheed Aircraft CorporElon Lockheed-Georgia Company Division )eA 86 South Cobb Dr17e.
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140. Lockheed Aircraft Corporation
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10-01425-08 Lockheed-Georgia Company 86 South Cobb Drive
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142. Lockheed Aircraft Corp,oratien N
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' e Lockheed-Georgia Compo.y 86 South Cobb Drive Marietta, Georgia 30060
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m Valdosta, Georgia 31601'
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Carter, Randall W.
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10-08640-01 Consultant Physicist 6
2362 Eastway Road Decatur, Georgia 30033 4
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Friedman Company, A. A.
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10-12408-01,'
-309 - eth Street 3
Augusta, Georgia 30902 0,A N,
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225 North Avenue, N.W.
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Georgia Institute of Technologyd/yy s
Atlanta, Georgia 30332 i
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Kirk Dial of Georgia Ccmpany 10-09623-01 e3 Walton Street, N.W.
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Atlanta, Georgia 30301 hipt#*d 10-00346-03
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5 Law Engineering Testing Company 412 Plasters Avenue, N.E.
I Atlanta, Georgia 30324 6.
Loexheed Aircraft Corporation d.al ($
h d S V.I, 10-01425-L Leckheed-Georgia Company Divisien Lockheed-Georgia Nuclear Laboratory
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/7 Lmanous Processes, Incorporated
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Mead Corporation
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Mesd Packaging Division 950 W. Marietta Street f
Atlanta, Georgia 30302 g,du,
9 Micron Services 10-13091-01 74,vg LL.-(,[,woJ u f Division of Technoscan, Incorporated L35 Great S.W. Parbray Atlanta, Georgia 30336
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i 19.i Interior, U.' S3 Departmer.t of 10-10146-02 a
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Athens,. Georgia 30601 hM-260 (70-275)
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A Division of L5ckheed ' Aircraft Corporation
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Marietta, Georgia 30060 10-01425-1L
- 21. Lockheed-Georgia Company
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Navy,- U. S. Department of the Farine Corps Supply Center Repair Division Albany, Georgia 3170L 10-00287-04 23 Navy, U. S.iDepartment of the -
Marine Corps Supply Center Repair Division Calibration Branch
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Albany, Georgia 31704-g 10-12233-02
- 24. Scutherd Space, Incorporated 3061 Hoiston-Avenue Macon, Georgia 312C6 (Portsmouth, Virginia) 25 Veterans 1dministration Hospital 10-01169-01;
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Radioisotope Service s,
1670 Claiment Road (g:
Decatur, Georgia 30033
- 26. Veterans Adminici, ration Hospital-10-06389-01 Forest Hills Divisien Augusta, Georgia. 30904 10-05389-02 27 Veterans Administration Hospital Forest Hills Division Augusta, Georgia 30904 x
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jh 71[N Robert Rohrer, Ph.D. (Physicist)
Emory University Atlanta, Georgia John D. Watson, M.D. (Radiologist)
The Medical Center Columbus, Georgia Thomas R. Nolan, M.D. (Surgery)
South Fulton Hospital East Point, Georgia John T. Godwin, M.D. (Pathologist)
St. Joseph's Infirmary Atlanta, Georgia Gerald E. Caplan, M.D. (Radiologist)
Memorial Hospital Savannah, Georgia The Georgia Staff indicated that they have not received any applications from physicians who want to.do nonroutine procedures. At the present time, the staff is using the AEC's list-of well-established medical uses and the AEC's training and experience criteria for a guide in their licensing.
The staff indicated that they do have one case which they would like to discuss with the committee. This concerns a physician who has requested authorization to do medical therapy but does not have the appropriate qualifications according to the AEC criteria.
The Georgia Staff indicated that a research protocol similar to that required by the AEC will be requested for each nonroutine human use and that these will be sent to all members of the Medical Advisory Committee Reports of the results of nonroutine uses will be required for comment.
from the licensees. At the present time, there are two broad medical licensees in the State:
Emory University, Atlanta, Georgia and Medical College of Georgia, Augusta, Georgia. These licensees are not required to report new uses and results of such uses to the Department of Public Health.
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o s _ During the conduct of the review meeting',.several unique approaches to l
licensing were noted. The Georgia Staff was not authorizing the posses-s sion of uranium contained in industrial radiography cameras and tele-therapy heads. The staf f did not appear to realize the need for licens-ing the uranium. They thought that the uranium content was less than 15 pounds and was covered under the general license.
It was pointed out the uranium in some of these devices is in excess of 15 pounds and that that the general license for 15 pounds of uranium does not cover this situation.
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In'another case, a letter was received from E. I. du Pont de Nemours
& Company on July 1,1970, directed to the Director, State Board of Health. The letter indicated that the company located in Delaware possessed an x-ray fluorescence analyzer containing a 1 millieurie Fe 55 sealed source. They indicated that the source was cyclotron produced and therefore did not require an AEC license. Since they would be using this instrument for a short time in Georgia, they wanted to know if a temporary license would be required.
(It should be noted that this is' a Harshaw Chemical Company device and is listed in the sealed source and device catalog.)
Mr. Posey responded on July 15, 1970, and indicated that the Department of Public Health was granting an exemption for the Fe 55.
The letter stated in part: "You will not be required to have a license."
(A copy of this correspondence is attached as Appendix G.)
A third case involved Lockheed-Georgia Company. It was noted that a letter to this company signed by Richard Fetz and dated June 26, 1970, had approved a request for the exemption of certain amounts of radioac-tivity contained in pyrotechnic devices and other components of aerospace vehicles. Upon further inquiry, it was discovered that Mr. Fetz's letter
{ vas in reply to a letter which was directed to the Atomic Energy Commission.
1 This concerned a request that articles which became radioactive as a.
result of irradiation during neutron radiography in the Lockheed Radiation Effects Reactor be transferred back' to the customers as articles exempt from any requirements from licensing. Lockheed-Georgia Company had sent Mr. Fetz a copy of the letter for information purposes.
Mr. Posey said that the Georgia Department of Public Health answered the letter because they were informed by Mr. Dewar of Lockheed-Georgia Company that it was not within AEC's authority and therefore they requested that Georgia reply to the letter. The AEC representative pointed out that the AEC would have notified Georgia if it had felt that the authority for grant-ing this exemption was under the jurisdiction of the State. In addition, it was pointed out that in a matter such as this where the operation of a reactor is involved, it would be appropriate for the State to confer with the AEC before taking such action. At the time of the writing of this report, the jurisdictional and licensing questions raised by Lockheed-Georgia still have not been resolved by the AEC.
The Georgia Department of Health has been inspecting radium users periodi-cally since 1964. Most radium users have been inspected at least three or four times. The staff indicated that the radium users are being " grand-
-fathered in" and given licenses with very little supporting information.
However, there are still approximately 22 users who have not been licensed.
The staff indicated that the delay in licensing these users has been
'because the Department is requiring that an appropriate survey instrument be available.
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