ML20178A472

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Final Supporting Statement for NRC Form 4
ML20178A472
Person / Time
Issue date: 07/21/2020
From:
NRC/OCIO
To:
Nguyen Minh-Thuy (415)5163
References
OMB 3150-0005
Download: ML20178A472 (11)


Text

FINAL OMB SUPPORTING STATEMENT FOR NRC FORM 4 CUMULATIVE OCCUPATIONAL DOSE HISTORY (3150-0005)

EXTENSION Description of the Information Collection The purpose of Title 10 of the Code of Federal Regulations Part 20 (10 CFR Part 20) is to establish Standards for Protection Against Radiation. 10 CFR Part 20 provides requirements for persons licensed by the U.S. Nuclear Regulatory Commission (NRC) to receive, possess, use, transfer, or dispose of byproduct, source, or special nuclear material or to operate a production or utilization facility under parts 30 through 36, 39, 40, 50, 52, 60, 61, 63, 70, or 72. In addition, 10 CFR Part 20 applies to persons required to obtain a certificate of compliance or an approved compliance plan under 10 CFR Part 76, Certification of Gaseous Diffusion Plants.

Pursuant to 10 CFR 20.1502, licensees are required to monitor exposures to radiation and radioactive material at levels to demonstrate compliance with the occupational dose limits in 10 CFR 20.1201. 10 CFR 20.2104 requires licensees to determine the occupational radiation dose received by an individual who required monitoring under 10 CFR 20.1502 during the current year. To comply with these requirements, the licensee may accept a written signed statement from the individual or from the individuals most recent employer as a record of the occupational dose that the individual received during the current year. The licensee may also accept an up-to-date NRC Form 4, Cumulative Occupational Dose History, or its equivalent as a record of cumulative radiation dose. The NRC Form 4 is a summation of the information previously provided using NRC Form 5, Occupational Dose Record For A Monitoring Period. The NRC Form 4 must be signed by the individual and countersigned by an appropriate official of the most recent employer for work involving radiation exposure, or the individuals current employer (if the individual is not employed by the licensee).

A. JUSTIFICATION

1. Need for and Practical Utility of the Information Collection 10 CFR 20.2104 requires licensees to determine an individuals prior occupational dose.

As specified in Section 20.2104(c), licensees may obtain this information through several methods. Section 20.2104(d) requires licensees to record an individuals prior occupational dose on an NRC Form 4, or its equivalent, and this record must show each period in which the individual received occupational exposure to radiation or radioactive material and must be signed by the individual who received the exposure. The data contained in NRC Form 4, or its equivalent, can be reviewed by NRC inspectors to determine compliance with the annual dose limits in 10 CFR 20.1201 to ensure the health and safety of licensee employees.

In addition, Section 20.2104(f) requires licensees to retain the NRC Form 4 records, or its equivalent, until the Commission terminates the license. Additionally, the licensee shall

retain records used in preparing NRC Form 4 for 3 years after the record is made.

The NRC Form 4 information collection is based, in part, on Presidential Guidance to Federal Agencies for Occupational Exposure published in the Federal Register on January 27, 1987. NRC Form 4 is a cumulative summary of the information found on NRC Form 5 (OMB clearance 3150-0006), which is submitted by NRC licensees annually pursuant to 10 CFR 20.2206.

2. Agency Use of Information The NRC uses the information to ensure that licensees are complying with the appropriate regulations, specified in 10 CFR 20.1502 and 10 CFR 20.2104 and their license conditions in order to protect the health and safety of occupational radiation workers and the public.
3. Reduction of Burden Through Information Technology There are no legal obstacles to reducing the burden associated with this information collection. The NRC encourages respondents to use information technology when it would be beneficial to them.

The NRC has issued Guidance for Electronic Submissions to the NRC which provides direction for the electronic transmission and submittal of documents to the NRC. It is estimated that approximately 97% of the requests for NRC Form 4 information are filed electronically. This estimate is based on 2018 calendar year data1 and staff experience.

NRC staff does not anticipate that the percentage of electronic submissions will change during the upcoming clearance period.

The NRC Form 4 is not required to be submitted to the NRC. However, NRC licensees provide this form to their occupational radiation workers who were monitored pursuant to 10 CFR 20.1502.

Regulatory Guide 8.7, Revision 4, (May 2018), Instructions for Recording and Reporting Occupational Radiation Dose Data, provides licensees with guidance regarding the recommended format for both paper and electronic submission of occupational radiation dose data.

NRC has an automated dose history request form on the Radiation Exposure Information and Reporting System (REIRS) at https://www.reirs.com that allows individuals and organizations to request a cumulative dose history report, or NRC Form 4, for individuals monitored at NRC facilities. The automated request form facilitates the submission of a request in a secure manner. A requestor electronically submits a request by providing full name, title, organization, email, phone number, and the names for whom the records are sought. Once the individual provides a signed release and photo identification, the NRC 1

In total, NRC received 169,750 electronic records and 5,250 paper records for the 2018 calendar year from NRC licensees required to report occupational dose data pursuant to 10 CFR 20.2206(c).

Form 4 report is sent via an encrypted email.

4. Effort to Identify Duplication and Use Similar Information No sources of similar information are available. There is no duplication of requirements.
5. Effort to Reduce Small Business Burden The automated dose history request option, available on the REIRS Web site is particularly beneficial to small businesses that may not have the resources to obtain prior dose histories for their occupational radiation workers. It is not possible to reduce the burden on small businesses any further and still meet the objectives stated in A.1 of this document.
6. Consequences to Federal Program Activities if the Collection is not Conducted or is Conducted Less Frequently If the requirements of 10 CFR 20.2104 were not met by licensees, licensees would not be knowledgeable of an occupational workers prior radiation exposure. Without this information, an occupational radiation worker could receive a radiation exposure in excess of the limits specified in 10 CFR 20.1201 for the current year. This lack of information could result in non-compliance by a licensee.
7. Circumstances Which Justify Variation from OMB Guidelines Records associated with the NRC Form 4 must be retained for the life of the NRC license in accordance with Section 20.2104(f). Maintaining the records for the life of the NRC license assists in several of the routine uses of the System of Records NRC-27, such as evaluating radiation exposure received by individuals and advising standards for protection against ionizing radiation resulting from activities conducted under licenses issued by the NRC.
8. Consultations Outside the NRC Opportunity for public comment on the information collection requirements for this clearance package was published in the Federal Register on April 15, 2020 (85 FR 21030). The NRC contacted three potential respondents within the nuclear industry via email and received one comment back by phone.

A Nuclear Energy Institute representative responded with the following: The form is necessary for the NRC to perform its functions and for industry to be in compliance with reporting requirements, so its a very good thing that the form is being updated. The way in which the information collected is as efficient and clear as it can be, and the burden estimate is appropriate. The new recordkeeping burden estimate is more accurate now after being reduced to reflect the increased availability and use of automated electronic software used to manage dose records.

9. Payment or Gifts to Respondents.

Not applicable.

10. Confidentiality of the Information Confidential and proprietary information is protected in accordance with NRC regulations at 10 CFR 9.17(a) and 10 CFR 2.390(b).

NRC Form 4 specifies the use of the individual's name, social security number or other unique ID, date of birth, and sex. This information is necessary to ensure the proper identification of the individual. The use of the social security number or other unique identifier is necessary to verify the identity of an individual because of the large number of individuals who have identical names and birth dates, and whose identities can only be distinguished by a unique identifier.

As part of an individuals request for dose history on NRC Form 4, the individual completes an Automated Dose History Request Form, signs a records release authorization, and provides photo identification. Photo identification may be drivers license, photo ID, or birth certificate. This information is submitted through an online, secured portal. The submitted information is stored in an encrypted database behind an Internet security firewall. The database is distinct from the REIRS database. Access to this information is limited to the employees fulfilling the dose request. Employee access is reviewed annually.

Each step of the process is specifically designed to protect sensitive identifying information. The web-based form uses the Secure Socket Layer (SSL) protocol to protect the information as it is entered into the form. Once entered, this information is processed behind an Internet security firewall. In addition, the PDF file containing the dose history report is password-protected using the password provided by the requestor and is encrypted for transmittal back to the requestor via email.

In accordance with Section 20.2106(d), NRC Form 4 falls under privacy protection. The information in the NRC Form 4 is protected from public disclosure, in part, due the requirement that identification of the requester is required before it can be released.

There is a Privacy Act System of Records Notice for the NRCs Radiation Exposure Information and Reporting System (REIRS). The System of Records Notice for REIRS, NRC-27, was last published on December 27, 2019 (84 FR 71536) and can be found under can be found under https://www.nrc.gov/docs/ML2002/ML20022A245.pdf. A privacy act statement is viewable as part of the process for requesting dose history on NRC Form 4 and has been included as part of the information collection instrument with this submission.

This system of records allows the NRC to provide REIRS data to states, government agencies, and organizations that conduct health studies research. Requests for access to REIRS data follow a multi-step process. Agencies interested in performing statistical or other evaluations of the data must first send a request to the REIRS project manager (PM) in the Office of Nuclear Regulatory Research. The PM reviews the request for consistency with the authorized uses of the data under the Privacy Act. Data in the REIRS system are stored in a secure server at Oak Ridge Associated Universities (ORAU). Any agencies requesting REIRS data must provide evidence of the ability to protect Personally Identifiable Information (PII) in the data request. Once the PM approves the request for data, a request is made to the ORAU technical and security staff to provide an additional review to ensure PII is protected before any data is transferred to the requesting entity.

The NRC has an interagency agreement with the U.S. Department of Energy (DOE) to provide REIRS data and to receive data from DOEs Radiation Exposure Management System (REMS).

11. Justification for Sensitive Questions This information collection does not involve personally sensitive information.
12. Estimated Burden and Burden Hour Cost Licensees are required to provide each of their employees who have been monitored for radiation exposure, an NRC Form 4 (or equivalent form) at the end of the monitoring year pursuant to 10 CFR 19.13. It takes licensees an estimated 2 minutes (0.03 hours3.472222e-5 days <br />8.333333e-4 hours <br />4.960317e-6 weeks <br />1.1415e-6 months <br />) to print an NRC Form 4 (or equivalent) and provide it to their employees. Information collected in NRC Form 4 is captured as a third-party disclosure (See Table 3).

The estimates presented in Table 1 are based on the 2018 reporting year and NRC staff estimate that the number of responses during the clearance period will be similar. Table 1 contains information for 98 reactor sites (licensee data contained in the REIRS database);

84 materials sites (licensee data contained in the REIRS database); and 3,964 materials sites (licensee data not contained in the REIRS database because these licensees are not subject to the reporting requirement in 10 CFR 20.2206(a)).

Additionally, copies of an individuals NRC Form 4 can be requested electronically through the REIRS website--on average, annually 1,880 individuals request records electronically at five minutes per request for a total of 157 hours0.00182 days <br />0.0436 hours <br />2.595899e-4 weeks <br />5.97385e-5 months <br /> (at $278/hour) for an additional burden of $43,646.

Below is a breakdown of the numbers presented in Table 1:

  • Reactors o Number of monitored individuals at 98 reactor sites: 102,354 o Number of transient workers at 98 reactor sites: 47,865

o Total responses for 98 reactor sites: 150,219

  • Materials o Number of monitored individuals at 84 materials sites: 9,708 o Number of transient workers at 84 materials sites: 61 o Total responses for 84 materials sites: 9,769

o Number of monitored individuals at 3,964 materials sites: 66,237 o Number of transient workers at 3,964 materials sites: 8,763 o Total responses for 3,964 materials sites: 75,000 In addition to providing an NRC Form 4 (or equivalent) to monitored individuals, licensees continue to complete NRC Form 4 each time a worker changes employment during the year. As a result, the greatest burden is on licensees who employ transient workers.

NRCs Radiation Exposure Information and Reporting System (REIRS) contain information on the number of transient workers at licensee sites that are subject to Section 20.2206(a)2. For the 2018 reporting year, the data show that as of June 2019, 84 sites employed 47,926 transient workers (47,865 transient workers at the 98 reactor sites + 61 transient workers at 84 materials sites). In addition to these sites, some sites are not subject to 20.2206(a) and therefore are not required to report to the REIRS system, but still voluntarily maintain NRC Form 4 for their workers. NRC estimates that 3,964 additional materials sites are maintaining NRC Form 4 for 8,763 transient workers. The total number of transient workers at all sites is estimated to be 56,689 (47,926 transient workers at sites with data in the REIRS system + 8,763 transient workers at sites without data in the REIRS system).

The recordkeeping burden is 0.25 hours2.893519e-4 days <br />0.00694 hours <br />4.133598e-5 weeks <br />9.5125e-6 months <br /> (15 minutes) to complete, review, and authorize each NRC Form 4. Using the total responses (which includes transient workers), the annual burden is 58,747 hours0.00865 days <br />0.208 hours <br />0.00124 weeks <br />2.842335e-4 months <br /> (234,988 workers x 0.25 hours2.893519e-4 days <br />0.00694 hours <br />4.133598e-5 weeks <br />9.5125e-6 months <br />). The annual cost for this requirement is $16,331,666 (at $278/hour). (See Table 2).

Finally, the NRC Form 4 is required each time a worker participates in a planned special exposure. The NRC does not anticipate that any workers will participate in a planned special exposure during the clearance period.

The total burden for NRC Form 4, including both third party disclosure, recordkeeping, REIRS website requests is 65,954 hours0.011 days <br />0.265 hours <br />0.00158 weeks <br />3.62997e-4 months <br /> (157 reporting, 58,747 recordkeeping + 7,050 hours5.787037e-4 days <br />0.0139 hours <br />8.267196e-5 weeks <br />1.9025e-5 months <br /> third party disclosure) at a cost of $18,335,212 (65,954 hours0.011 days <br />0.265 hours <br />0.00158 weeks <br />3.62997e-4 months <br /> x $278/hour).

2 Data in the REIRS system is based on other approved NRC information collections, such as NRC Form 5, Occupational Dose Record for a Monitoring Period (3150-0006)

Table 1. Total Burden and Responses Responses Hours Cost at $278/hr Reporting 1,880 157 $ 43,646 Third Party disclosure 234,988 7,050 $ 1,959,900 Recordkeeping 4,146 58,747 $ 16,331,666 Total 241,014 65,954 $ 18,335,212 The $278 hourly rate used in the burden estimates is based on the Nuclear Regulatory Commissions fee for hourly rates as noted in 10 CFR 170.20 Average cost per professional staff-hour. For more information on the basis of this rate, see the Revision of Fee Schedules; Fee Recovery for Fiscal Year 2019 (84 FR 22331, May 17, 2019).

13. Estimate of Other Additional Cost The NRC has determined that the quantity of records to be maintained is roughly proportional to the recordkeeping burden and; therefore, can be used to calculate approximate records storage costs. Based on the number of pages maintained for a typical clearance, the records storage cost has been determined to be equal to 0.0004 times the recordkeeping burden cost. Because the recordkeeping burden is estimated to be 58,747 hours0.00865 days <br />0.208 hours <br />0.00124 weeks <br />2.842335e-4 months <br />, the storage cost for this clearance is $6,533 (58,787 hours0.00911 days <br />0.219 hours <br />0.0013 weeks <br />2.994535e-4 months <br /> x 0.0004 x

$278/hour).

14. Estimated Annualized Cost to the Federal Government NRC cost is incurred by inspectors reviewing the information on NRC Form 4, or its equivalent, and supporting records maintained by licensees. Annually, 98 hours0.00113 days <br />0.0272 hours <br />1.62037e-4 weeks <br />3.7289e-5 months <br /> (1 hour/site x 98 reactor sites) of inspection time is spent reviewing such records, at an average of 1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> for each of the 98 reactor sites. The annual cost for reactor inspectors to review the NRC Form 4, or its equivalent, is $27,244 (98 hours0.00113 days <br />0.0272 hours <br />1.62037e-4 weeks <br />3.7289e-5 months <br /> x $278/hour).

NRC is responsible for conducting inspections of NRC Form 4, or its equivalent, and supporting records maintained by 4,048 materials licensees. It is estimated that approximately 405 hours0.00469 days <br />0.113 hours <br />6.696429e-4 weeks <br />1.541025e-4 months <br /> (0.1 hour/site x 4,048 materials sites) of inspection time is spent reviewing such records at an average of 0.1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> for each of the 4,048 materials sites.

The annual cost for materials inspectors to review the NRC Form 4 is $112,590 (405 hours0.00469 days <br />0.113 hours <br />6.696429e-4 weeks <br />1.541025e-4 months <br /> x $278/hour).

Annually, the total time spent reviewing NRC Form 4, or its equivalent, records is 503 hours0.00582 days <br />0.14 hours <br />8.316799e-4 weeks <br />1.913915e-4 months <br /> (98 hours0.00113 days <br />0.0272 hours <br />1.62037e-4 weeks <br />3.7289e-5 months <br /> for reactor sites + 405 hours0.00469 days <br />0.113 hours <br />6.696429e-4 weeks <br />1.541025e-4 months <br /> for materials sites). The total inspection cost, annually, is approximately $139,834 ($27,244 for reactor inspections +

$112,590 for materials inspections) (See Table 5).

15. Reasons for Change in Burden or Cost The estimated burden has increased by 35,606 hours0.00701 days <br />0.168 hours <br />0.001 weeks <br />2.30583e-4 months <br /> from the previous burden of 30,348 hours0.00403 days <br />0.0967 hours <br />5.753968e-4 weeks <br />1.32414e-4 months <br /> to 65,954 hours0.011 days <br />0.265 hours <br />0.00158 weeks <br />3.62997e-4 months <br />. (See Table 2).

The burden increase is primarily due to an increase in the number of records that fell under the recordkeeping burden. Previous burden estimates have assumed the recordkeeping burden was only for records subject to 10 CFR 20.2206(a). However, licensees not subject to 10 CFR 20.2206(a) must still maintain these records using a NRC Form 4 or its equivalent. The NRC staff has corrected this in the current submission. In the current estimates all records are included under the recordkeeping. As a result, the number of records that fell under the recordkeeping burden increased from 168,751 to 234,988.

Table 2. Change in Burden and Responses 2017 renewal Current Request Change Responses Hours Responses Hours Responses Hours Reporting 1,550 129 1,880 157 330 28 Third Party Disclosure 222,150 6,711 234,988 7,050 12,838 339 Recordkeeping 4,141 23,508 4,146 58,747 5 35,239 TOTAL 227,841 30,348 241,014 65,954 13,173 35,606 In addition, in the previous clearance, based on REIRS data, NRC estimated that licensees would maintain NRC Form 4, or its equivalent, records for 40,681 transient workers. A review of recent REIRS data shows that as of June 2019, licensees-maintained NRC Form 4, or its equivalent, records for an average of 47,926 transient workers annually.

As shown in Table 2, recordkeeping burden increased from 23,508 hours0.00588 days <br />0.141 hours <br />8.399471e-4 weeks <br />1.93294e-4 months <br /> to 58,787 hours0.00911 days <br />0.219 hours <br />0.0013 weeks <br />2.994535e-4 months <br />.

NRC staff adjusted recordkeeping burden estimates for Form 4. The previous recordkeeping burden was estimated to be 35 minutes. This estimate assumed that a person would be manually entering the dose record information into the NRC Form 4.

With electronic software more readily available and more commonly used to manage dose records, this estimate was determined to be too conservative. A new estimate of 15 minutes is more representative of current record management processes.

It should be noted that the NRC does not anticipate any planned special exposures during the next three years.

Finally, the fee rate has increased from $265 to $278 per hour.

16. Publication for Statistical Use NRC Form 4 is not published for statistical use.
17. Reason for Not Displaying the Expiration Date.

The expiration date is displayed on NRC Form 4.

18. Exceptions to the Certification Statement.

Not applicable.

B. COLLECTIONS OF INFORMATION EMPLOYING STATISTICAL METHODS Statistical methods are not employed in the collection of information.

TABLE 1 THIRD-PARTY DISCLOSURE FOR NRC FORM 4 - RECORD PROVIDED TO MONITORED INDIVIDUALS RESPONSES BURDEN PER TOTAL NUMBER OF TOTAL PER RESPONSES BURDEN RESPONDENTS RESPONSES RESPONDENT (hours) (hours) 1,533 150,219 0.03 4,507 Reactors 98 Materials - 84 116 9,769 0.03 293 data from REIRS Materials - 3,964 19 75,000 0.03 2,250 licensees not subject to 20.2206(a), no REIRS data Totals 4,146 234,988 7,050 TABLE 2 RECORDKEEPING BURDEN ASSOCIATED WITH NRC FORM 4 NUMBER OF NUMBER OF NUMBER BURDEN ANNUAL ANNUAL RECORDKEEPERS RECORDS/ OF HOURS/ BURDEN COST@

RECORDKEEPERS RECORDS RECORDS HOURS $278/HR Reactors 98 1,533 150,219 0.25 37,555 $10,440,221 Materials - 84 3 9,769 0.25 2,442 $678,946 data from REIRS Materials - 3,964 2 75,000 0.25 18,750 $5,212,500 licensees not subject to 20.2206(a), no REIRS data Totals 4,146 234,988 58,747 $16,331,666

TABLE 3 ESTIMATED ANNUALIZED COST TO THE NRC FOR REVIEW OF REPORTS AND INSPECTIONS ASSOCIATED WITH NRC FORM 4 NUMBER OF STAFF HOURS STAFF BURDEN ANNUAL COST@

RESPONDENTS PER LICENSEE HOURS $278/HR Reactors 98 1.0 98 $27,244 Materials 4,048 0.1 405 $112,590 Totals 4,146 503 $139,834