ML20136F831
| ML20136F831 | |
| Person / Time | |
|---|---|
| Issue date: | 05/20/1994 |
| From: | Scroggins R NRC |
| To: | Rasin W NUCLEAR ENERGY INSTITUTE (FORMERLY NUCLEAR MGMT & |
| Shared Package | |
| ML20136F802 | List: |
| References | |
| NUDOCS 9703170069 | |
| Download: ML20136F831 (1) | |
Text
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INCLOSUE
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UNffs0 STATES i
I NUCLEAR REGULATORY COMMissl0N-5 wasumeTON. o.C.MueMsti My 10194 4
Nuclear Ene w Institute Attn: Mr. William H. Rasin i
Vice President and Director l
Technical Div.ision j
.1776 Eye Street, N.W., suite 300 Washington, DC 20006-3708 l
Gentlemen:
l The Electric Power Research Institute (EPRI). has submitted, throuch Nuclear j
reports involving (formerly Nuclotr Management and Resources CouncII). four Energy Institute steam generator degradation specific management. The j
reports are:
l (1) Steam Generator Degradation Specific Management, t
j (2)PWRSteamSeneratorExaminationGuide11 ness Revision 3, i
(3) EPRI PWR 5 team Generator Tube Repair Limits Technical Support Document for Outside Diameter Stress Corrosion Cracking at Tube Support Plates: Rev. 1, and (4) EPRI-PWR Steam Generator Tube Repair Limits: Technical Support Document for Expansion Zone PWSCC in Roll Transitions:
Rev.t.
The staff has determined that rulemaking is the most appropriate regulatory means for implementing Steam Generator Degradation Specific Management (360SM). As such, the staff will not be developing safety evaluation reports on each report to support technical specification amendments that implement SGOSM as originally conceived by EPRI. It is our understanding that these reports Will new be used to support rulemaking on Steam Generator Degradation specific Management. Therefore, we have determined that the cost for NRC review of these reports will not be assessed under 10 CFR 170.21, but recovered through annual fees.
Sincerely,
" #b Ronald M. Scroggins Deputy Chief Financial Officer / Controller
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