ML20203L607
| ML20203L607 | |
| Person / Time | |
|---|---|
| Site: | Seabrook |
| Issue date: | 02/27/1998 |
| From: | Feigenbaum T NORTH ATLANTIC ENERGY SERVICE CORP. (NAESCO) |
| To: | NRC OFFICE OF ADMINISTRATION (ADM) |
| References | |
| FRN-63FR275, RTR-NUREG-1304, RTR-REGGD-05.062, RTR-REGGD-5.062, TASK-*****, TASK-RE 63FR275-00008, 63FR275-8, GL-91-04, GL-91-4, NUDOCS 9803060140 | |
| Download: ML20203L607 (4) | |
Text
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'Mie Nonlicast Wlitim Systnn US NRC February 27,1998 Docket No. 50-443 NYN 98018 ARh98000687 United States Nuclear Regulatory Commission 4
Chief, Rules and Directives liranch Division of Administrative Services Ollice of Administration Washington, DC 20555 0001 Scabrook Station Drall Regulatory Guide DO 5008 (Proposed Revision 2 of Regulatory Guide 5.62)
Reporting Of Safeguards Events In December,1997, the NRC issued for comment, Draft Regulatory Guide DO 5008 (Proposed Revision 2 of Regulatory Guide 5.62) " Reporting of Safeguards Events" providing an NRC acceptable guidance on detennining when and how safeguards events should be reported.
North Atlantle Energy Service Corporation (North Atlantie), the operator of Seabrook Station, has reviewed the material within DO 5008 and is enclosing two comments for your consideration. In general, we feel that this document will provide useful guidance and direction I
in several areas, however, prior guidance contained in NUREO 1304 and Generic Letter 9104 should be incorporated.
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U.S. Nuclecr llegulatory Commission Division of Administrative Services NYN.98018 / l' age 2
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If you have questions regarding our omments, please contact Mr. Anthony M. Callendrello, l.icensing Manager at (603) 773 7751.
Very truly yours, NORTil ATLANTIC ENERGY SEltVICE CORP.
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Q Ted C.17eigenbau f
Executive Vice President and Chief Nuclear OfDeer ec: Mr. Rick Enkeboll Nuclear Energy institute 1776 i Street, NW Suite 400 Washington, DC 20006 3708
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.e ENCLOSURE TO NYN-98018
The following conunents are provided on the proposed Regulatory Guide 5.62.
j 1.
While publishing this proposed regulatory gulde, the NRC has provided no instruction on those of the interpretations that have been provided via NUREO 1304 and NRC Generie i.etter 91 03. This I;uldance has not been incorporated either directly or indirectly in this document. We bel eve this guidana is particularly significant since it is based on the experience that has been gained over 10 years and deals with a number of subjects. It should be incorporated in the proposed Regulatory Guide.
2.
Section 2.4, paragraph 13,, age 11 deals with the loss of a weapon on site. Recommend that the term "on site" be e innged to "within the Protected Area." to ensure consistency with the current interpretation used by lleensees.
I of 1
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