ML20195D888
| ML20195D888 | |
| Person / Time | |
|---|---|
| Site: | Hope Creek |
| Issue date: | 06/03/1986 |
| From: | Corbin McNeil Public Service Enterprise Group |
| To: | Adensam E Office of Nuclear Reactor Regulation |
| References | |
| NUDOCS 8606050148 | |
| Download: ML20195D888 (3) | |
Text
y Pubhc Service Electric and Gas Company C:rbin A. McNeill, Jr.
Pubhc Seruce Electnc and Gas Company P.O. Box 236.Hancocks Bndge NJ 08038 609 339-4800 vice Presioent -
Nuclear June 3, 1986 Director of Nuclear Reactor Regulation United States Nuclear Regulatory Commission 7920 Norfolk Avenue Bethesda, Maryland 20814 Attention:
Ms. Elinor Adensam, Director Project Directorate 3 Division of BWR Licensing
Dear Ms. Adensam:
TEMPORARY RADWASTE PROCESSING HOPE CREEK GENERATING STATION DOCKET NO. 50-354 As a result of several telephone conversations between representatives of Public Service Electric and Gas Company (PSE&G) and the NRC pertaining to temporary radwaste processing, PSE&G notes that Chem-Nuclear Systems Inc. will be contracted to provide temporary radwaste processing services for Hope Creek in lieu of Westinghouse-Hittman Nuclear Services as previously specified in a letter from C.A. McNeill (PSE&G) to E. Adensam (NRC) dated May 1986.
This decision is based upon PSE&G complying with a commitment to secure the services of a temporary radwaste vendor with an NRC approved Topical Report as documented in Section 7.0,
" Temporary Radwaste Processing (Contracted Vendor)" of the Hope Creek Process Control Program (PCP).
Identified in Atic.hment I are references noting NRC approval of Chem-Nuclear Topical Reports.
PSE&G will perform an engineering review of the subject Topical Reports and Chem-Nuclear procedures prior to integrating the Chem-Nuclear temporary radwaste processing equipment with Hope Creek.
PSE&G has developed Hope Creek specific procedures which define the operating interfaces between Hope Creek and Chem-Nuclear.
The aforementioned efforts ensure that the necessary safety precautions have been addressed and considered prior to initial criticality.
As stated in a letter from C.A.
McNeill (PSE&G) to E.
Adensam (NRC) dated November 29, 1985, PSE&G will retain the services of a temporary radwaste vendor beyond 5% power 9{
if permanent equipment is not available to support radwaste g
processing.
ds 8606050148 860603 PDR ADOCK 05000354
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a Director of Nuclear 2
6-3-86 Reactor Regulation In the event there are any questions in this regard, do not hesitate to contact us.
Sincerely,
\\
T Attachment C
D.H. Wagner USNRC Licensing Project Manager R.W.
Borchardt USNRC Senior Resident Inspector
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ATTACHMENT 1 REFERENCE 1:
Letter from Cecil O. Thomas, Chief Standardization and Special Projects Branch to L.K.
- Poppe, Corporate Health Physicist Chem-Nuclear Systems, Inc. dated January 11, 1985, approving Topical Report CNSI-DW-llll8-01-P, "CNSI Dewatering Control Process Containers Topical Report".
REFERENCE 2:
Letter from' Cecil 0. Thomas, Chief Standardization and Special Projects Branch-to James P.
- Staehr, Director Chem-Nuclear Systems, Inc., dated April 11, 1983 approving Topical Report CNSI-2(P)
Rev.
2,
" Mobile Cement Solidification Plant".
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