ML20133H992

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Requests That Any Revs to 10CFR72.52 or Any Other Applicable Licensee Event Reporting Requirement Be Consistent W/Encl Proposed Rev to 10CFR73.71 & 50.73.W/o Encl
ML20133H992
Person / Time
Issue date: 03/04/1985
From: Mccorkle G
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Steyer K
NRC OFFICE OF NUCLEAR REGULATORY RESEARCH (RES)
Shared Package
ML20132B800 List:
References
FRN-50FR34708, RULE-PR-73 AB46-1-07, AB46-1-7, AB46-2, AB46-2-18, NUDOCS 8510180220
Download: ML20133H992 (1)


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MM 0 41935 en r/r SGPR r/f SGPR s//f-P0wyerY J0avidson l MEMORANDUM FOR: Keith G. Steyer, Chief DKasun Chemical Engineering Branch Division of Engineering Technology RES

. FROM: George W. McCorkle, Chief Power Reactor SG Licensing Branch Division of Safeguards, NMSS r

SU8 JECT: CONSISTENCY IN LICENSEE EVENT REPORTING

REQUIREMENTS We have been requested by the Committee to Review Generic Requirements (CRGR) to coordinate our efforts in revising 10 CFR 73.71, Reporting l Requirements for Safeguards Events, with other offices developing or revising t licensee event reporting requirements to assure consistency in the regulat tons.

The Office of Nuclear Regulatory Research (RES) has concurred on these pro-posed revisions.

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! Specifically, we understand that RES is at present developing revisions to '

10 CFR 72.52, Reports of accidental criticality or loss of special nuclear a ,

4 material . Events involving a loss (other than a normal operating loss), theft or attempted theft of special nuclear materiel are reportable under 10 CFR i 73.71; hence we believe revisions to 573.71 may impact 572.52.

Proposed revisions to 573.71 have been structured in accordance with CRGR comment to be consistent with 10 CFR 50.73, Licensee Event Report Systen.

We request that any revisions to 72.52, or any other applicable licensee i event reporting requirement developed by your Office be consistent with the proposed 10 CFR 73.71 and 10 CFR 50.73. To assist you, enclosed is a copy of the proposed revisions to 173.71. We believe close office coordination in this matter will assist in achieving consistency among Itcensee reporting requirements and appreciate your assistance in this effort. Please contact l Priscilla A. Dwyer, SGPR, x74773 if further information is needed.

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George W. McCorkle, Chief Power Reactor SG Licensing Branch Division of Safeguards, NMS$

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Enclosure:

{ Proposed Revisions to 10 CFR 73.71 Q cc: W. Pearson, RES w/o encl. r/>-

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