ML20204E888

From kanterella
Jump to navigation Jump to search
Advises That Encl Comment 69 from Minneapolis Electric Steel Castings Incorrectly Coded.Number Will Not Be Used Again
ML20204E888
Person / Time
Issue date: 07/30/1986
From:
NRC OFFICE OF THE SECRETARY (SECY)
To:
NRC OFFICE OF THE SECRETARY (SECY)
References
FRN-51FR19561, RULE-PR-50, RULE-PR-55 NUDOCS 8608010279
Download: ML20204E888 (2)


Text

2 - - - . _ . _ . _ _ _ _ _ . . _ -- _ _ __. __.______. ___..____ _.. . _ . . . . _ _ . .

i

..V

-000KETED.

USNRC.,

_ s 16 JL 30 A859 July 30, 1986 FFICE OF SEListiARY.

NOTE TO RECEIPIENTS OF PR-50,55 (51 FR 19561) OCC BNNC Please note that Coment No. 69 from Minneapolis Electric Steel Castings was incorrectly coded. This number will not be used again.

Docketing & Serv ~ ice Branch Office of the Secretary of the Comission i

4 8608010279 860730 s

.PDR PR ,

50 51FR19561 PDR e

Ds /ou1:gg Rowsms42 m. 'i

/

00 MET NUMER ERQPLMD BULs w3E g .,

EVRDS

' ininnERPOLIS GLECTRIC STGGG CSIF2 /954,tf -

tings naooucrs com=w - oms,on 3901 University Avenue, N.E.

  • Telephone: 612/788 1651 W J1. 25 P2 :33 DFFICE OF SE%LiAkf 00CMETlhG & SERVICf' BRANCH July 22, 1986 Secretary, U.S. Nuclear Regulatory Conmission Washington, D.C. 20555 Attn: Docketing and Services Branch Sir:

I am in favor of your pmposed rule regarding notification to the NRC of a Chapter 11 filing by a licensee. As RSO of a company which has only re-cently energed fmm Chapter 11 status, I am familiar with the personnel and cash flow shortages which could contribute to a potential radioactive source disposal problem. I have also spoken to representatives of a few companies which have proceeded fmm bankruptcy to dissolution and wish to sell various exposure devices. In one of these cases, I did not feel that the representa-tive adequately appreciated the licensing amendnents involved in transferring ownership, and I wandered if other such sales might be occurring without adequate documentation.

I was appalled to note in'your June 20, 1986 " Proposed Rules" that a licensee -

chose to abandon material mther than pmperly dispose of it. I work in a steel foundry, which buys scrap from various suppliers. I am sure you are aware of the radioactive sources mixed in with the scrap at Auburn Steel (SSINS #6825), and Milton Manufacturing Co. Abandoned licensed material be-comes,a. major hazard to foundries, should it becore mixed in with scrap naterials.

In conclusion, I feel that there is a definite risk involved and that your pmposed rule is entirely justified.

a Respectfully yours, F. A. Brozo Minneapolis Electric Steel Castings nm

}( ~ f I

, Q c O W' ,

JUL 2 e p3gg Rttamfedged by card. :. . . . . . . . . ..,

f <C g ,j j F 1 D