ML20148F234

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Submits Comments for Incorporation Into ETS Re Meteorology Program,Nonradiological Monitoring Program,Airborne Iodine Analysis Inconsistencies & Gross Alpha Analyses Frequencies
ML20148F234
Person / Time
Site: Yankee Rowe
Issue date: 09/23/1974
From: Kuhlman C
US ATOMIC ENERGY COMMISSION (AEC)
To: Muller D
US ATOMIC ENERGY COMMISSION (AEC)
Shared Package
ML20148F240 List:
References
NUDOCS 8011040726
Download: ML20148F234 (2)


Text

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SEP 2 31974 L= ..

p D. R. Muller, Assistant Director for Environmental Projects, L p EliVIROWEllTAL TECHfi! CAL SPECIFICATI0ftS - Y/dKEE R0WE E pi=w

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We receive, from time to time, recommendations from our Regional p Offices concerning the upgrading of requirements in specific p plant technical specifications. These recommendations are _p frequently based on a comparison with Regulatory Guides and e the type of requirements being incorporated into technical E specifications for new facilities. We have ban forwarding h -

pertinent cocments to Project Managers within your organizations when a Project Manager for that particulars facility has been 1 assigned. However, in the case of Yankee Rowe a Project .y Manager has not been assigned, therefore, we are forwarding - L. ~ =k our comments to you. ("p

.. .. g.g We recognize that there is no licensing action pending for E. E Yankee Rowe and, therefore, changes and additions to the L technichl specifications cannot be accomplished in the L.

near future. We request, however, that our comments be E retained on file until such time as they may be considered U for incorporation into new or revised technical specifications [

for Yankee Rowe. g _

Specific comments are as follows:

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l. The licensee's meteorology program is not consistent with Regulatory Guide 1.23 recomendations. Of particular concern ._

is the fact that wind speed and direction are measured at the 30 foot level while most airborne releases from the plant d are at the 140 foot level.

2. There are no technical specifications for a non-radiological monitoring program. ,
3. There are several inconsis+encies between the proposed [::

technical specifications ano the FSAR concerning how airborne iodine is to be analyzed. -

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4. The required frequency for gross alpha analyses is based bl:1 on when alpha activity is present in the release. It p has been noted that the wording of this recuirement leads to confusion between the licensee anc the p" ,

r contractor (for environmental sample analyses) as to  :

what is required.

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If you have questions concerning these connents or should desire [;l ndditional information, please contact L. Cunningham, extension 7413. p i+

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Carl W. Kuhlman, Assistant Director ...

for Radiological, Environmental P%

and flaterials Protection, R0

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.. M T/MMy Form AEC.318 (Rev. 9 5)) AIChi 0240 W u. s. oova nNu sNT PR NTING OFFIC E81974 026-l66