ML20202C468
| ML20202C468 | |
| Person / Time | |
|---|---|
| Issue date: | 03/29/1996 |
| From: | Brown W NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
| To: | Prange B NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
| Shared Package | |
| ML20202B642 | List: |
| References | |
| FOIA-97-395 NUDOCS 9712040004 | |
| Download: ML20202C468 (1) | |
Text
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i l
t From:
William Browni Qv NCD2.WCl.BAP) h Ihto[, r[~u To:
J/29/96 9:16am Date:
Subject:
10CIR30.34(b) Question j
Beth, I talked with Joe Vigman, RSO of Artic Slope Ins pection, Inc., and l
explained to him about the requirements of Sec. 30.34(';). Apparently, they 1
have not quite decided what to do yet. However, they might form two new unincor)c ated divisions in the present corporation and simply do business under tlose names. Under those circumstances, the present licensee corporation would not change ar a corporation.
If they do that, I did tell i
him that for the sake of convenience, they may want to seek a housekeeping r
amendment to the license shcWing the licensee as "Artic Slope Inspection, Inc.
f dba (name of new unincorporated division)."
I also explained that should any reorganization result in a change in control, such as a change in ownership of the licensee corporation, then that would be an indirect license transfer requiring prior written approval from the NRC pursuant to Sec. 30.34(b). Of course, if they should decide to incorporate one of the new divisions of the present licensee corporation, then that would be a direct license transfer requiring not only prior written approval from the NRC, but also a license r
amendment.
Bill I
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