ML20212J725
| ML20212J725 | |
| Person / Time | |
|---|---|
| Issue date: | 10/03/1986 |
| From: | Lubenau J NRC OFFICE OF STATE PROGRAMS (OSP) |
| To: | NRC OFFICE OF STATE PROGRAMS (OSP) |
| Shared Package | |
| ML20210H056 | List:
|
| References | |
| FOIA-87-47 NUDOCS 8703090112 | |
| Download: ML20212J725 (2) | |
Text
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OCT 3 1986 Ref: SA/J0L MEMORANDUM FOR: Illinois File FROM:
Joel 0. Lubenau Senior Project Manager State Agreements Program
. Office of State Programs
SUBJECT:
ILLINOIS PROGRAM C0fMITMENTS During the weeks of September 22 & 29, 1986 I spoke with Paul Eastvold, IDHS concernine certain minor problems identified during the NRC staff review of the September 1986 redrafted program description. These were resolved as follows:
1.
The IDNS regulations (which were adopted September 25,1986) do not contain language equivalent to 10 CFR 30.34(g). This requirenent is needed to assure a regulatory requirement exists for moly breakthru tests for nuclear pharmacies and broad medical licensees.
Illinois will add this requirement to their regulations at the next mvision.
In the interim, IDHS will use a standard condition equivalent to 10 CFR 30.34(g) for its broad medical and nuclear pharmacy licenses.
When the Agreement becomes effective. IDNS will review these licenses to detemine the need for the condition.
material equivalent to 10 CFR 40.13(c)(2)(iii)ption for source IDMS regulations inadvertently omitted an exem 2.
&(iv). This will be added in the next revision.
In the interim, IDMS staff will be instructed not to cite persons possessing the subject source material for possession of material without a license.
8703090112 870226 Joel 0. Lubenau PDR FOIA Senior Project Manager RADER87-47 PDR -
S ts %rm Office of State Programs l
cc:
P. Eastvold, IDNS Distribution:
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E 3 198o MEMORANDUM FOR:
Illinois File FR0ll:
Joel 0. Lubenau Senior Project Manager State Agreements Program Office of State Programs
SUBJECT:
ILLINDIS PROGRAM COMMITMENTS During the weeks of September 22 & 29, 1986 I spoke with Paul Eastvold, IDNS concerning certain minor problems identified during the NRC staff review of the September 1986 redrafted program description. These were resolved as follows:
1.
The IDNS regulations (which were adopted September 25,1986) do not contain language equivalent to 10 CFR 30.34(g). This requirement is needed to assure a regulatory requirement exists for moly breakthru tests for nuclear pharmacies and broad medical licensees.
Illinois will add this requirement to their regulations at the next revision.
In the interim, IDNS will use a standard condition equivalent to 10 CFR 30.34(g) for its broad medical and nuclear pharmacy licenses.
When the Agreement becomes effective, IDNS will review these licenses to determine the need for the condition.
2.
IDNS regulations inadvertently omitted an exem material equivalent to 10 CFR 40.13(c)(2)(iii)ption for source
& (iv). This will be added in the next revision.
In the interim, IDNS staff will be instructed not to cite persons possessing the subject source material for possession of material without a license.
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Joe O. Lubenau d
Serior Project Manager State Agreements Program Office of State Programs cc:
P. Eastvold, IDNS M
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