ML20154S386

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Staff Requirements Memo Re SECY-98-199, Requirement for Those Who Possess Certain Industrial Devices Containing Byproduct Matls to Provide Requested Info
ML20154S386
Person / Time
Issue date: 10/23/1998
From: Hoyle J
NRC OFFICE OF THE SECRETARY (SECY)
To: Galante A, Travers W
NRC OFFICE OF STATE PROGRAMS (OSP), NRC OFFICE OF THE CONTROLLER
References
FRN-63FR42269, FRN-63FR66492, REF-10CFR9.7 AG-06-2-010, AG06-1-019, SECY-98-199-C, NUDOCS 9810270385
Download: ML20154S386 (3)


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' UNITED STATES e RELEASED TO THE PDR

'e NUCLEAR REGULATORY COMMISSIOp WASHINGTON. D.C. 20555-0001 4 gg ,

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., g October 23, 1998 oooesseeeeemosoeeeeeees.

OFFICE OF THE SECRETARY MEMORANDUM TO: William D. Travers Executive Director for Operations Anthony J. Galante ChiefI rm tion Officer FROM: John dM oyle'Es(cretary

SUBJECT:

STAFF REQUIREMENTS - SECY-98-199 - PROPOSED RULE:

10 CFR PART 31 " REQUIREMENT FOR THOSE WHO L POSSESS CERTAIN INDUSTRIAL DEVICES CONTAINING l

BYPRODUCT MATERIALS TO PROVIDE REQUESTED lNFORMATION" 1

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The Commission has approved publication of the proposed rulemaking for 10 CFR Part 31.5 with the changes indicated in the attachment.

(EDO) (SECY Suspense: 11/20/98)

The staff should provide the Commission with its best estimate of the schedule and milestones necessary to complete the automated registration system once the business case has been completed and reviewed by the information Technology Business Council, and the recommended attemative has been approved by the EC (if the project cost is over $500K) or the CIO (if the project cost is less than $500K).

(EDO) (SECY Suspense: 1/20/99)

The staff should continue to work closely with the Office of the Chief Information Officer (OClO) to ensure that the automated registration system is developed in a timely manner. In order to control the costs of the automated system, the staff should critically evaluate the program needs.

In evaluating attematives, the staff should explore options such as commercial-off-the-shelf

) registration software and registration software available from the States or other govemment l-agencies that would be sufficiently capable of meeting the basic information capture, recording, and response requiremeats of the device registration program. The OClO should ensure that resources devoted to the CPIC analysis are ' scaled to the size and complexity of the proposed g l

IT investment" and do not impose 'an undue burden on the NRC program staff" (as discussed in \

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SECY-98-032). /

Fullimplementation of the registration program should commence no later than deployment of the automated registration system. In the interim, the staff should take the following steps to [o}

address potential safety significant situations. Since the staff plans to forward the proposed rule to affected general licensees for information purposes, the staff should plan to ' screen" any 9810270385 981023 PDR iOCFR PT9.7 PDR K 1

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i; 2-information received as a result of this mailing. Specifically, the staff should make available resources to triage the incoming information based on its safety significance, establish simple criteria for determining when, and what type of, follow up action is commensurate with the potential public health and salaty risk associated with the device, and perform limited scope inspections when indicated. Fo"ow up activities could range from a simple telephone contact to a limited scope inspection to confirm source identification, location and disposition. Disposition l of the information collected in such follow up activities should also be based on its safety significance. This process does not have to be an elaborate one but is intended to identify those situations that, from a public health and safety perspective, warrant action. To complete this l approach, the staff should consider developing the interim enforcement policy prior to the final i rule-as currently planned by the staff-in the event that there is a need to " grant amnesty' in a specific situation identified as a result of the initial mailing to general licensees discussed above.

Regardless of when the interim enforcement policy is implemented, the staffs plan should remain in effect through one complete cycle of the registration program. Also, the Federal Reaister should be revised accordingly.

l Regarding the second more comprehensive rule - the staff should involve the Conference of Radiation Control Program Directors and Agreement States early in the rulemaking process by sharing the draft rule language at the earliest opportunity and including Agreement State and non-Agreement State representation on the Part 31 rule-writing team. This approach will help ensure timely resolution of such key issues as additional device labeling requirements and compatibility.

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Attachment:

i As stated I

cc: Chairman Jackson Commissioner Diaz l Commissioner McGaffigan l OGC l CFO OCA OlG OPA Office Directors, Regions, ACRS, ACNW, ASLBP (via E-Mail)

PDR DCS 1

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\ Editorial Changes to Attachments to SECY-98-199 Chances to the Federal Reaister Notig
1. On page 1, paragraph 1, line 2, change 'use' to ' possess.'
2. On page 4, first full paragraph, line 3, insert ' exposure' after ' radiation.'
3. On page 8, after item 3, insert a new item as follows: '4. The location of the devices.'

Chances to the Reaulatory Analysis:

1. In page 15, in item 4.2, line 1, add an 's' to ' result.'
2. On page 21, first full paragraph, lines 4-5, delete the remainder of the sentence after

' devices.'

3. On page 24, last paragraph, line 3, delete the 's' on ' licensees.'

Chanaes to the Conaressional Letters:

1. In paragraph 1, line 3, replace ' add an explicit requirement' with ' explicitly require.' In line 4, replace ' provide NRC with' with ' respond to NRC requests for.' in lines 5-6, delete

'as requested by NRC.' In the last line, edd 'that are primarily used in commercial and industrial applications' after ' radionuclides'.

2. In paragraph 2, add a new first sentence as follows: 'NRC has observed a number of instances in the past where generally-licensed devices have not been properly handled or disposed of.' in line 2, insert 'there by' after 'and.'

Chanaes to the Press Re' ease:

1. On page 1, paragraph 1, line 1, insert 'in Part 31' after ' regulations.' In line 3, delete the firat 'the.'
2. On page 1, paragraph 3, line 6, insert ' unnecessary' before ' radiation.'
3. On page 2, paragraph 2, line 1, insert 'certain' before ' general.' Add a new sentence to the end of the paragraph as follows: 'About 6,000 general licensees possessing about 24,000 devices will come under the registration requirement.'

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