ML20196D274

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Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations
ML20196D274
Person / Time
Site: Seabrook  NextEra Energy icon.png
Issue date: 06/22/1988
From: Tringaligagne
AFFILIATION NOT ASSIGNED
To:
NRC OFFICE OF THE SECRETARY (SECY)
References
FRN-53FR16435, RULE-PR-50 53FR16435-00933, 53FR16435-933, NUDOCS 8807010347
Download: ML20196D274 (1)


Text

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463 DOCKET NUMBER 3D YROPOSED RULE i n 50 53PA/H Brenda M. Tringall-Gagne'

.'nili? 06/22/88 Secretary of the Commission 2**

Attn: Docketing & Service Branch U.S.

N.R.C.

Washington, DC 20555 88 JN a P1 :54 To Whom It May Concern:

OrFic...pty 2,

00 Chi in.L e. ' f.n u.(

This letter is to inform you that I am in Ya# N of the V

proposed "Interpretive Rule" currently being considered by the Nuclear Regulatory Commission.

It is my understanding that confusion exists regarding the requirements that must be met before any nuclear power plant can be granted their low power testing license.

This grey area cannot be allowed to continue simply due to the feet that it is not good business. The requirements must be clarified if we are to provide this country with other safe, reliable sources of energy... particularly in the Seabrook, NH area.

Seabrook Station needs your help.

By clarifying your position regardf.ng public notification requirements that must be met prior to low-power testing, Seabrook Station can rerpond accordingly and is ready to do so in fact.

The plant ompletely constructed and fuel is loaded.

We have.

ds of volunteers trained and ready to respond ;

case of any emergency. Please do not let this time, uaort and money go to vaste!!!

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