ML20205N047

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Comments on Proposed Rule 10CFR50 Re Extension of Time for Implementation of Decontamination Priority & Trusteeship Provisions of Property Insurance Requirements.Util Requests Response to
ML20205N047
Person / Time
Site: Kewaunee Dominion icon.png
Issue date: 10/20/1988
From: Gehl E
WISCONSIN POWER & LIGHT CO.
To:
NRC OFFICE OF THE SECRETARY (SECY)
References
FRN-53FR36338, RULE-PR-50 53FR36338-00005, 53FR36338-5, AC26-2-12, AC26-2-13, NUDOCS 8811030424
Download: ML20205N047 (1)


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DOCKET nut.iSER U.S. Nuclear Regulatory Commission PROPOSED Rul.E _

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Docketing and Service Branch 55F/f 34,33 Vashington, D.C.

20555 RE:

Proposed Rule Extending Time for Implementation of Decontamination Priority and Trusteeship Provisions of the Property Insurance Requirements 10 CFR 50.54(w)

Gentlemen:

I would appreciate a response to my attached letter of September 27.

Very truly yours, 4s0 l b

Eugene O. Gehl Executive Vice President and General Counsel EOG:jb Attachment s..~

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@%, A Wisconsin Power D Light Company womo-a.e tann 222 West Washington A enue PO Box 192 Madison W1 63701 4192 Prow 606752 3311 September 27, 1988 mm es U.S. Nuclear Regulatory Com:nission ATTN: Docketing and Service Branch Hgg y Washington, D.C.

20555 RE: Proposed Rule Extending Time for Implementation of j,

E eC O Decontamination Priority and Trusteeship Provisions of the Property Insurance Requirements

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10 CFR 50.54(v)

Centlemen:

Wisconsin Power and Light Company is a co-owner and licensee of the Kevauwee Nuclear Power Plant located in the Town of Carlton, Wisconsin.

We are advised that the NRC intends to publish a proposed rule that will extend the October 4 deadline for the incorporation of requirements relative to the payment of property damage fasurance proceeds into policies of property insurance.

W5 are further advised that it is intended that generic action vill be taken prior to October 4 to relieve licensees from that requirement.

I would appreciate it if you would confirm that such action is contemplated.

If our information is incorrect, we would appreciate your advice as to what action a licensee should take relative to the application of the requirement.

Very truly yours, wgss 0 YQ Eugene O. Gehl Executive Vice President and General Counsel EOC:jb cc: Visconsin Public Service Corporation ATTN: Linus A. Stoll Madison Cas ard Electric Company ATTN: Donalo J. Helfrecht Wisconsin Power and Light Company ATTN: Steve Bohlman Wisconsin's heart!and... On the gicw.

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