ML20206D780

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Withdraws 850429 Application for Amends to Licenses DPR-71 & DPR-62 Re Implementation of Integrated Plant Mod Plan.Util Has Determined Amend Not Necessary to Achieve Benefits of Integrated Scheduling
ML20206D780
Person / Time
Site: Brunswick  Duke Energy icon.png
Issue date: 04/03/1987
From: Cutter A
CAROLINA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
GL-83-20, NLS-87-069, NLS-87-69, NUDOCS 8704130419
Download: ML20206D780 (1)


Text

Caronna Power & Ught Company P. o. Box 1551 e Ralegh, N. C. 27602 (919) 836-6231 APR 0 a 1987 A e cuTTEn SERIAL: NLS-87-069 vee Pre 4 dent 10CFR50.90 Nuclear Engineenng & Ucensing United States Nuclear Regulatory Commission ATTENTION: Document Control Desk Washington, DC 20555 BRUNSWICK STEAM ELECTRIC PLANT, UNIT NOS.1 AND 2 DOCKET NOS. 50-325 & 50-324/ LICENSE NOS. DPR-71 & DPR-62 WITHDRAWAL OF REQUEST FOR LICENSE AMENDMENT LONG-TERM PLANNING Gentlemen:

On April 29,1985, Carolina Power & Light Company (CP&L) requested a revision to the Operating Licenses for the Brunswick Steam Electric Plant, Unit Nos. I and 2. The proposed revision required the implementation of an Integrated Plant Modification Plan at the Brunswick Plant. This plan was developed to provide long-term integrated scheduling of modifications to the Brunswick Units. The program is based on the concept of an integrated schedule as endorsed by the NRC in Generic Letter 83-20 dated May 9,1983.

Since this submittal, the Company has adopted the integrated schedule concept at the Brunswick Plant and found it to be a useful means of enhancing the safe, reliable, and economic operation of the facility. However, it has been determined that a license amendment is not necessary in order to achieve the benefits of integrated scheduling.

Therefore, Carolina Power & Light Company hereby withdraws its April 29,1985 license amendment request regarding long-term planning.

Although the Company is withdrawing the request for a license amendment, CP&L will continue to use our integrateo schedule as a management tool when discussing the scheduling of regulatory items with the NRC Project Manager and Resident inspector.

Please refer any questions regarding this matter to Mr. Sherwood R. Zimmerman at (919) 836-6242.

Yours very truly,

/Ma

. B.

utter MAT /baw (5163M AT) cc:

Mr. Dayne H. Brown Dr. J. Nelson Grace (NRC-RII)

Mr. W. H. Ruland (NRC-BNP)

Mr. E. Sylvester (NRC) 0 h 10 8704130419 870403 PDR ADOCK 05000324 p

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