ML20211A873

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Ack Receipt of 990212 & 0402 Ltrs,Which Transmitted Changes Identified as Revs 39 & 40 to DAEC Security Plan,Submitted Under Provisions of 10CFR50.54(p).NRC Review Comments for Subject Plans,Encl
ML20211A873
Person / Time
Site: Duane Arnold NextEra Energy icon.png
Issue date: 08/16/1999
From: Creed J
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
To: Franz J
IES UTILITIES INC., (FORMERLY IOWA ELECTRIC LIGHT
References
NUDOCS 9908240160
Download: ML20211A873 (2)


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August 16, 1999 j-Mr. John F. Franz, Jr.

Vice President, Nuclear 1 Alliant Tower 200 First Street SE

~ P. O. Box 351 Cedar Rapids, IA 52406-0351

SUBJECT:

'DUANE ARNOLD ENERGY CENTER SECURITY PLAN REVISIONS 39 AND 40

Dear Mr. Franz:

This letter acknowledges receipt of your letter dated February 12,1999, which transmitted L changes identified as Revision 39 to the Duane Amold Energy Center Secuiity Plan, and your letter dated April 2,1999, which transmitted changes identified as Revision 40 to the Duane Amold Energy Center Security Plan, submitted under the provisions of 10 CFR 50.54(p).

Based on your determination that the changes do not decrease the effectiveness of the plan and after limited review of the changes, no NRC approval is required, in accordance with 10 CFR 50.54(p). However, during our limited review, an observation was noted and is addressed in the enclosure to this letter. Implementation of these changes will be subject to inspection to confirm that the changes have not decreased the effectiveness of the security plan.

The enclosure to your letter contained Safeguards Information of a type specified in 10 CFR 73.21 and will be withheld from public disclosure.

I In accordance with 10 CFR 2.790 of the Commission's regulations, a copy of this letter will be L

placed in the NRC Public Document Room.

incer ly, me eed l

License No. DPR-49 l

Enclosure:

As stated

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ENCLOSURE REVIEW COMMENTS FOR DUANE ARNOLD ENERGY CENTER SECURITY PLAN REVISIONS 39 AND 40 Section Pace Comment 5.4.2 & 5.6.1, Rev. 39 5-4 & 5.6 Use of an unarmed security officer to compensate for a degraded protected area (PA) barrier would be acceptable if another PA barrier (fence or vehicle barrier) were in place. An unarmed security officer compensating for a degraded PA barrier without another physical barrier or vehicle barrier in position (thus allowing an unobstructed path into the PA) would not be acceptable, and would constitute a reduction in effectiveness from security measures described in Revision 38 of the security plan.

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