ML20199F401
| ML20199F401 | |
| Person / Time | |
|---|---|
| Site: | Portsmouth Gaseous Diffusion Plant |
| Issue date: | 01/27/1998 |
| From: | Routh S UNITED STATES ENRICHMENT CORP. (USEC) |
| To: | Yawar Faraz, Pravin Patel NRC |
| References | |
| NUDOCS 9802040005 | |
| Download: ML20199F401 (3) | |
Text
JAt4-27-1998 11:56 USEC 301 564 3210 P.01/o3 y
>.,LSEC h, W A massi ea.ru compaan i
Fax Memorandum Date:
Januarv 27.1pqS Time:
10:42 am.
To:
Yawar Faraz/Priva Patel Fax:
301-415-5390 Phone:
From:
Steve Routh Fax:
301 564-3210 Phone:
301 564-3251 Number of Pages (including cover sheet): 3
Subject:
Followup to 1/26/98 Meeting on Application Changes in followup to yesterday's meeting and our discussion of completed Compliance Plan issues, I wanted to ask if you could review the following information and let me know if it would be acceptable for us to proceed as described.
1.
Uodate of Acolication Sections As we described yesterday in the meeting, we intend to reflect the completion of Compilance Plan actions in the various sections of the Application entitled, " Items Addressed by Compliance Plan." Attached is an example of the revisions we would intend to make for EGDPiSAR Section 5.6.15. Because all of ths related Compliance Plan actior,s have been completed (sae Compliance Plan issues 40 and 43), we intend to delste the discussion and insert the words, "Section deleted."
(continued on page 2)
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344-27-1990 SETS 6 t[SEC 3915643h10 P.0243 MUSEC A Globet Energy Compen) e Fax to Faraz/Patel January 27,1998 Page 2 Wordina in Comoleted Comoliance Plan lasues is Viewed as Historical Oniv Related to the same Compliance Plan issues (40 and 43), because all actions are complete, we would like to treat the wording in these Compilance Plan issues as historical only and discontinue any efforts to maintain the wording up-to-date for plant changes and/or changes to the Application.
Could you please review these items and let me know your thoughts, 1
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J % 27-1998 11856 USEC 301 564 3210 P.03/03 l
SAR-PODP May 31,1996 Rey, 3 15&M'progratna provkle the noossaary protective barriors and controls enabling safe us~ >f those chandenla, Cornhercial tilsmicals hve varybg toxicity and hazardous ranges and categories. Because chamiemia can be used across the site in various manners, the 154H program applications to chemical safety are general in nature and based on 1 i.6,7 accepted standards and regulatory requirmanta for controlling acaTadanal exposures. To address the posential exposure risks samarimwi with IS&H program managed cbsmicals, PODP uses chemical review programs, program procedures, and Material Safety Data Sheets (MSDSs). haplamaaradaa of these IS&H progruns provide employee protection from hazardous chla during daily opersions and emergency response.
5.6.14 l@M - ; - y of the PGDP Site
'!he crusion of USEC resulted in a lease agreement with the Department of Energy (DOE). USEC leases from the DOE certain operadng segments and oortain support facilities of the original Gaseous Diftselon she. The remaining site sectors are used by DOE environmental restoration contractors and sub contractors. Under article 5 of the lease, the DOE assumes liability for accidents and event: caused by operations under their control. DOE has no obilg ion to inform USEC about hazardous chemicals under their consrol. DOE provides information thror p established e-mication channels regarding hazardous charnianla used by third parties present at I ~ TP that could impact PODP nuclear operations.
5.6.15 Itsuns Addressed by Compliones Plan d., d M secdon is implemented u described with e ations as listed below. Tbs listing of excepdons contains a brief hydon of what is c 4 insly in place at the plant. The sance Plan provides a of the exceptions (noncomph 4.w), a j@ = ton for co operation, a description of the be taken to achieve complik ; i and the schedule '- w=yletion of those acdons.
DOE does not currendy provide informanm e,
We Ocation channals regarding hazardous chemicals used by third parties present at that t Md impact PGDP nuclear operations.
DOE is a memhar of the PODP Emergency _,
4 is availabic to address potential chamient risks posed by third party use chemicals until inal communication channel can be established.
All elements Mcal integrity program, as defined by 20 CFR 1910.11, ve not been implh those chemicals addressed in SAR Section 5.6.13.3. This is specifically r to most seyd.a described in 10 CFR 1910.119, but is being carried as a Compliance M
5.68 TOTAL P 03