ML20217M127

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Requests That Encl IP 87118, Brachytherapy Programs Be Issued for Use by Regions.Summary of Comments & Resolutions Encl
ML20217M127
Person / Time
Issue date: 04/29/1998
From: Cool D
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Gillespie F
NRC (Affiliation Not Assigned)
References
IP-87118, NUDOCS 9805040442
Download: ML20217M127 (58)


Text

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e, April 29, 1998 u' MEMORANDUM TO: Frank P. Gill:spis, Dirrctor Division of Inspection and Support Programs, NRR FROM: Donald A. Cool, Director Division of Industrial and Origin:Icime:g g;Y Medical Nuclear Safety, NMSS

SUBJECT:

REQUEST TO ISSUE INSPECTION PROCEDURE 87118, BRACHYTHERAPY PROGRAMS We request that you issue the attached Inspection Procedure (IP) 87118 for use by the regions. It was distributed to the regions in draft form for review and comment. A summary of comments and resolutions is also attached.

This is another in a series of inspection procedures that will result from revision of the inspection procedures in IP 87100 to eliminate the checklist approach and substitute 6 performance based approach using an " Inspection Record" and " Inspection References." This document, when issued, will replace the existing guidance in IP 87100 for inspection of l brachytherapy programs.

Attachments: As stated.

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R. Bangart, OSP CONTACT: Ronald E. Zelac, NMSS/IMNS (301)415-6316  !

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, mung g S UNITED STATES l g j NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 2066Mmt n

i *,,,p+ April 29, 1998 l

j MEMORANDUM TO: Frank P. Gillespie, Director Division of Inspection and Support Programs, NRR

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l. FROM: Donald A. Cool, Director .^ j l Division of Industrial and -

Medical Nuclear Safety, NMSS  !

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SUBJECT:

REQUEST TO ISSUE INSPECTION PROCEDURE 87118, BRACHYTHERAPY PROGRAMS We request that you issue the attached inspection Procedure (IP) 87118 for use by the j regions. It was distributed to the regions in draft form for review and comment. A summary of I comments and resolutions is also attached.

This is another in a' series of inspection procedures that will result from revision of the inspection procedures in IP 87100 to eliminate the checklist approach and substitute a j performance based approach using an " Inspection Record" and " Inspection References." This document, when issued, will replace the existing guidance in IP 87100 for inspection of brachytherapy programs.

Attachments
As stated.

cc: R. Blough, RI D. Collins, Ril C. Pederson Rlli R. Scarano, RIV R. Bangart, OSP CONTACT: Ronald E. Zelac, NMSS/IMNS (301) 415-6316 l

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DOCUMENT ISSUING FORM

.To: NRR. DISP. Director From: Donald A. Cool. Director. Division of Industrial and Medical Nuclear Safety. NMSS (Originating Director) L

1. Number and title of document 87118. Brachythernov Proaratna .
2. Type of document 3. Type of action

_ Manual Chapter (MC) linspection Procedure (IP) 1New document (number)

_ Appendix _ Temporary Instruction (TI) _X. Revision (of IP 87100)

_ Technical Guidance _10 CFR Guidance _ Deletion

'4.a. If a new IP is being prepared, state its need or purpose, whether it is for the " Core" Inspection Program, the SALP category it applies to, the direct inspection hours needed to -

perform it, and the inspection frequency.

b. If a Tl or IP is being revised, state the reason for the revision, and if applicable,the resulting change in direct inspection hours or FTE, if any, Core Program: _X,Yes_No SALP Category: N/A DIE: N/A Inspection Frequency: N/A Statement: This orocedure is to be used ir, olace of IP 87100 for the insoection of brachvthernov licensee orocrams. It reflects a nerformance based insoection acoroach.

Comoared to IP 87100. it chances the format. eliminates the field notes. adds an insoection record section. and adds a references section.

c. For any proposed addition in direct inspection hours that results from a or b above, state the increase in proposed hours and identify where the proposed corresponding reduction in direct inspection hours is to occur (Note: the total " Core" hours is a fixed number and <

cannot be increased without permission from the NRR Office Director).

DIE increase resulting from da or 4b: Nia Proposed reduction, IP No.:N/A Details of reduction: N/A

d. If new training requirements or the revision of current training requirements are needed as

l^

4 the result of the new IP, Tl or revision of existing procedures, these should be identified.

The group responsible for establishing and presenting the training should also be identified New training course required? ._Yes 1No Revision to existing training course? l_Yes _No .

Lead Branch for establishing training _

Training to be given by:

Brief description of proposed training: Add discussion on the revised format of the orocedure.

5. Attach a WP6.1 floppy disk with a hard copy of the document.
a. Has document been reviewed by the technical editor? XYes _No if not, state why
6. Special exhibits (anything that cannot be put in Wordperfect such as drawings, reductions, or block diagrams) are attached?

_Yes 1No _N/A

7. Attach a summary of comments and resolutions. State comment, its source, and if not adopted why. Is summary attached? XYes _No ,_N/A
8. All approval signatures must be obtained in the order listed below: Check items 1-7 above and ensure all documents (floppy disk with file in Wordperfect & hard copy, special exhibits, comment summary and resolution, and any background information) are attached to this form befor u) p rovals.
a. onaldE Zelac 2N#97 d.

t /' PlPB, Manual Coord1Date riginit /DaMeJ

b. os chine M. Piccone 24/44ke. PIPB, Branch Chief /Date Originator B anch Chief /Date '

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c. . D O W A 'a b 's /? # f.

IMNS Division Direct'or/Date DISP, NRR, Director /Date

9. Date received by PIPB 10. Change notice number and issue Manual Coordinator date:

END l

l INSPECTION PROCEDURE 87118 BRACHYTHERAPY PROGRAMS i COMMENT RESOLUTION i

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Reaion 1:

l 1. Comment l

Item 02.03, d. Authorized Users: line 4, " Verify that remote afterloaders are used by or i

under the direct supervision of an authonzed user." The term direct supervision is not defined anywhere. Do you mean to say that the HDR will be used in the physical presence of an authorized user and the Radiation Safety Officer or the Medical Physicist?

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1. Resolution:

1 While not specifically defined, " direct supervision" is employed to alert the inspector to the enhanced supervision requirements that authorized users have with remote afterloaders. The specific requirements appear in Section 02.09 Operating and Emergency Procedures for Remote Afterloaders. For high, medium, and pulsed dose rate remote afterloaders, physical presence of the authorized user (and the medical l physicist or RSO)13 required during use of the device. For low dose rate remote afterloaders, the authorized user (and the medical physicist or RSO) must be available for prompt assistance during patient treatments. The text was modified by referring the reader to Section 02.09.

2. Comment:

item 02.06, c. Additional Requirements For Licensees With Remote Afterloaders: Last paragraph, line 9, "...or the American Association of Physicists in Medicine (AAPM)..."

AAPM does not calibrate dosimetry systems. There are calibration labs. that are approved by the AAPM and are referred to as the ADC for Accredited Dosimetry Calibration Laboratories.

2. Resolution:

The sentence was change to read "...or by a calibration laboratory accredited by the American Association of Physicists in Medicing (AAPM)..."

3. Comment:

Item 02.07, e. Additional Requirements for Licensees with Remote Afterloaders: Third line, " Sources used in afterloader[s] should be checked by the licensee for source homogeneity and be leak tested at intervals not to exceed six months." This sentence is not very clear and may give the reader the impression that source homogeneity should

be checked every six months. The apparent value of source homogeneity as performed by the majority of licensees is minimal. We should give serious consideration to removing this requirement. In place of this test, a more valuable requirement would be to require that source positioning be confirmed at least [on] a monthly basis.

3. Resolution: ,

Intent was clarified by dividing the sen5nce into two sentences as follows: " Sources used in afterloaders are to be checkoo by the licensee for source homogeneity before being used for patient treatments. The sources are also to be leak tested at intervals not to exceed six months." Modification of present licensee requirements, like the removal of the source homogeneity check and the addition of a routine source positioning check which were suggested, will be deferred pending the accumulation of experience and data using this inspection procedure. It is noted that the monthly source positioning check is included in NRC Policy and Guidance Directive FC86-4, Revision 1, "Information Required for Licensing Remote Afterloading Devices."

4. Comment:

l Item 02.09, a[ Operating Procedures Common to All Remote Afterloaders: Last l

sentence, "In addition, the licensee should submit revised procedures to the NRC for review." How has this been communicated to the licensee? If the changes do not relax l restrictiveness or degrade safe operation of the unit, it appears that these changes may

! qualify as ministerial changes. The licensee is authorized to make ministerial changes l to their procedures through the RSC; therefore, this last sentence should be deleted.

l Please also note that "should" wording does not constitute a requirement and therefore should not be used for something we wish the licensee to perform.

4. Resolution:

The sentence was deleted.

5. Comment:

Item 3.06, c. Additional Requirements for [All] Licensees with Remote Afterloaders:

[ fourth] paragraph, "The inspector should ask the licensee to demonstrate the actual performance of the calibration procedures." We should not ask for this because in-air calibrations are very time consuming. This sentence should be deleted or modified to read we should ask the licensee for records wl? ich demonstrate the performance....

5. Resolution:

The first sentence in the paragraph already directs the inspector to review the calibration log to verify that the calibration procedures stated in the license application are followed.

The second sentence has been modified to provide discretion to the inspector regarding 2

whether to request a demonstrat ion as well as the depth of detail and duration of the demonstration. The sentence now reads as follows: The inspector should consider asking the licensee's staff to provide a demonstration of some or all of the steps of the calibration procedure.

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Reaion Ill:

1. Comment:

it is still our view that this portion of the procedures and its Appendix A (Inspection Record) should be incorporated into the nuclear medicine procedures and inspection Record as a separate paragraph or two. Many of the issues addressed in the nuclear medicine inspection Record (Appendix A) are already addressed and apply to the brachytherapy program; therefore, the brachytherapy inspection Record would be an additional 13 page report for the inspector to complete that could have been included in one single report.

1. Resolution:

The rationale'for having separate inspection procedures for brachytherapy and nuclear medicine has at least three elements.

Brachytherapy programs are often associated with radiation therapy / oncology programs rather than nuclear medicine programs.

There are many nuclear medicine programs without associated brachytherapy programs.

While the brachytherapy program inspection procedure and the nuclear medicine program inspection procedure have numerous common items, the brachytherapy program inspection procedure has many requirements specific to brachytherapy.

Accordingly, a separate inspection procedure for brachytherapy programs is being retained. However, if experience with the use of the new inspection procedures indicates that combining those for nuclear medicine programs and brachytherapy programs into one would be the optimum approach, then the mattar will be reconsidered.

2. Comment:

There is rio section in Appendix A for Year 2000 issues.

2. Resolution: ,

Section 20, Special Conditions or issues, page A-9, specifically lists Year 2000 effects of computer software as a topic to be considered in completing this segment of the inspection procedure. Therefore, no change was made.

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3. Comment For Appendix A, second sentence in the box, remove the second "not."
3. Resolution:

The indicated change was made.

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l NRC INSPECTION MANUAL -

IMDB l INSPECTION PROCEDURE 87118 BRACHYTHERAPY PROGRAMS l PROGRAM APPLICABILITY: 2800 i

87118-01 INSPECTION OBJECTIVES 01.01 To determine if licensed activities are being conducted in a manner that will protect the health and safety of workers and the general public.

01.02 To determine if licensed programs are being conducted in accordance with U.S. Nuclear Regulatory Commission requirements.

87118-02 INSPECTION REQUIREMENTS

- A review of the licensed activities will be commensurate with the scope of the licensee's. program. A determination regarding safety and compliance with NRC

! requirements will be based on direct observation of work activities. interviews

! with workers, demonstrations by workers performing tasks regulated by NRC, and independent measurements of radiation conditions at the facility, rather than exclusive reliance on a review of records.

In reviewing the licensee's performance, the inspector should cover the period from the last to current inspections. However, older 1ssues preceding the last inspection should be reviewed, if warranted by circumstances, such as incidents, non-compliance, or high radiation exposures.

This inspection procedure is applicable to all forms of brachytherapy (temporary and permanent implants, remote afterloaders, eye applicators and plaques, etc.).

However all the following areas may not be applicable to each brachytherapy program.

02.01 Preoaration. The inspector should allow adequate time to pre 3are for the inspection. Preparation will include reviewing documents, mating travel i arrangements, coordinating with appropriate staff notifying appropriate State agencies, and selecting necessary equipment. In particular. the inspector shall identify whether any license amendments have been issued since the last i inspection, or whether the licensee has informed NRC of any major program changes since the last inspection. The inspector shall also review any regional event logs and files to determine if the licensee had any incidents or events since the last inspection.

l Issue Date: XX/XX/XX 87118

4 02.02 Entrance Briefina. When the inspector arrives at the licensee's facility.

he/she will inform an available senior management representative of the purpose and scope of the inspection. For brachytherapy program inspections. it is not always practical to meet with licensee management, on arrival, because of the early hours during which the inspection may be conducted. However the entrance briefing should be conducted as soon as practicable.

02.03 General Overview

a. Oraanization. Interview cognizant licensee representatives about the current organization of the program. Examine the licensee's organization with respect to changes that have occurred in personnel, functions, responsibilities, and authorities since the previous inspection. Identify the reporting relationship and management structure between the licensee's executive management, the Radiation Safety Officer (RS0), the Chairpersm of the Radiation Safety Comittee (RSC), and the other members of the RSC.
b. Scone of Proaram. Interview cognizant personnel to determine the types, quantities, and use of licensed material, frequency of use. staff size, etc. Determine if the licensee has multiple places of use. especially for licensees with remote afterloaders and verify that all locations are authorized by the license. If warranted, consider performing inspections at all sites of use,
c. Manaaement Oversiaht. In the course of interviewing cognizant personnel.

determine if management oversight is sufficient to provide the licensee staff with adequate resources and authority to administer the licensed program.

1. RSC - If the licensee is required to have an RSC. review the committee meeting minutes for topics of discussion. membership, frequency, and attendance. The inspector should interview some members of the RSC to determine their involvement in the radiation safety program. For licensees with remote afterloaders, verify that the RSC: (1) has approved any afterloaders currently in use: (2) reviews the use of afterloaders at each quarterly RSC meeting: (3) reviews the remote afterloader program during annual audits of the as low as is reasonably achievable (ALARA) 3rogram; and (4) implements corrective actions recommended for ceficiencies noted during audits.

l 2. RSO - Determine whether the RSO has been appointed, is named on the l license, has sufficient authority, and fulfills the appropriate duties commensurate with the size and scope of licensed activities.

3. Audits - Verify that audits are performed as required. Verify that ,

the results of the audits are reviewed and addressed.

d. Authorized Users. Determine that only qualified, authorized individuals perform and/or supervise licensed activities. Verify that authorized users of brachytherapy sources perform an appropriate level of supervision, as required by 10 CFR 35.25. Verify that remote afterloaders are used by or under the direct supervision of an authorized user. See Section 02.09 b. and c. for supervisory responsibilities of autharized users during remote afterloader use.

87118 -2 Issue Date: XX/XX/XX

02.04 Walk-Throuch Orientation Tour. Perform a walk-through tour of the licensed facility to make general observations of the condition of the facility

and the licensed activities being performed.

! 02.05 Facilities.

a. Recuirements for All Brachytheraov Licensees. Verify that the facility l conforms to that described in the license application: that material l receipt use, and storage areas are secured; and that the licensee uses processes or other engineering controls to maintain doses ALARA.
b. Additional Reauirements for Licensees with Remote Afterloaders. Verify
that unauthorized individuals are prevented from entering the use area, that the device and all associated sources are stored against unauthorized

! use or removal, and that the console keys are inaccessible to unauthorized

! persons. Also, if other radiation-producing devices are located within i the treatment room, ensure that only one device can be placed in operation at a time.

c. Additional Recuirements for Licensees with Hiah . Medium . and Pulsed-l Dose- Rate Remote Afterloaders. Verify that use of the afterloaders is l limited to the areas approved by the license. Determine whether each dedicated treatment room is equipped with a continuous viewing and ,

intercom system to allow for patient observation and communication during )

treatment. Verify that these systems are checked for operation at the  ;

beginning of each day of use, and that either a backup system is available l l or the licensee suspends further treatments if the primary system l requires repairs.

l Verify that electrical interlock systems are installed and operational at l l each entry. The activation of the interlock will result in the source l automatically being retracted. Also verify that, once activated, the automatic interlock must be reset before the afterloading device can be activated. Determine whether interlocks are tested daily for proper operation, and whether records verifying interlock operation are maintained for 3 years.

d. Additional Reauirements for Licensees with Low-Dose-Rate-Remote Afterloaders. Verify that .such devices are only used in locations (rooms) within a single building that are approved by the license and that the licensee possesses and uses either fixed or portable shields during procedures. Determine whether the licensee has the capability to monitor the patient and device during treatment to ensure that the sources and catheter guide tubes are not disturbed during treatment /use.

02.06 Eauioment and Instrumentation.

a. Verify that equipment and instrumentation are appropriate, operable, calibrated, adequately maintained, and conforming to descriptions in the license and 10 CFR Part 35.
b. Verify that the licensee has established and implemented procedures to

' identify and report safety component defects per the requirements of 10 CFR Part 21.

c. Additional Reauirements for Licensees with Remote Afterloaders. Verify that the licensee has only used the remote afterloader authorized by the license. Verify that: (1) the backup battery for the remote afterloader Issue Date: XX/XX/XX 87118

i is tested monthly, in accordance with the manufacturer's instructions to l verify emergency source retraction capability, upon power failure: and (2) the source position indicators are checked periodically using a dedicated check source or the afterloader's source, to verify proper operation l and accuracy.

Only persons licensed by NRC or an Agreement State may perform maintenance. repair, and ins)ection on remote afterloaders. Verify that each afterloader is fully nspected and serviced at intervals not to exceed 1 year, to ensure proper function of the device and to-ensure that l scheduled service recommended by the manufacturer has been performed in l accordance with the manufacturer's instructions.

Verify that the licensee has implemented a calibration program for its remote afterloaders. Calibrations are to be performed by the authorized ,

l abysicist or other individual specified in the license application either l Jy name or by training and experience. Verify that these calibrations are

performed following installation of a new source, before patient treatment is resumed, and monthly thereafter. Also verify that the dosimetry system l used to perform calibration measurements has been calibrated by the
National Institute of Standards and Technology. or by a calibration i laboratory accredited by the American Association of Physicists in Medicine, within the previous 2 years and after any servicing that may have affected system calibration.

02.07 Materials l

l a. Receiot and Transfer of Licensed Material . Verify that the licensee is receiving packages and making transfers of licensed material in accordance l with NRC and applicable U.S. Department of Transportation (DOT)

I regulations and license conditions.

b. Autho'ized r Uses. Determine from observing the use of licensed material, l discussing the activities with licensee personnel, and reviewing records.  ;

! that the type, quantity, and use of licensed material at the licensee's i l facility are authorized by the license.

c. Inventories. Verify that the licensee is conducting inventories of all sealed sources and brachytherapy sources, in accordance with 10 CFR 35.59
and 35.406. To the extent practical. assure, by physical confirmation, that the licensee's inventory is complete and accurate and that inventory records are maintained as required.

l d. Material Security and Control. Verify that the licensee has established procedures for maintaining security and control of licensed material, and that these procedures are understood and implemented by appropriate personnel. Verify that licensed material in storage, in controlled or unrestricted areas, is secure from unauthorized removal or access. Verify that licensed material not in storage. in controlled or unrestricted areas, is controlled and under constant surveillance. Verify that access to restricted areas is limited by the licensee.

e. Additional Reauirements for Licensees with Remote Afterloaders. Verify that only those sources approved by the license are possessed by the licensee. Sources used in afterloaders are to be checked by the licensee for source homogeneity before being used for patient treatments. The sources are also to be leak-tested at intervals not to exceed 6 months.

87118 Issue Date: XX/XX/XX

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  • Inventories of all sources, including those in use, in storage, and (any l depleted uranium) in shielding, must be conducted quarterly. Verify that installation and/or replacement of sealed sources contained in remote afterloaders is only performed by persons specifically authorized by NRC l or an Agreement State.

02.08 Trainina

a. General Trainina. Verify that appropriate training and initial ,

instructions are being provided to personnel as specified in -the license '

and as required by 10 CFR 19.12 and 35.410.  !

b. Doeratina Procedures. Verify that licensee personnel are aware of operating procedures by observing personnel perform tasks at selected work i

stations and by a comparison of their activities with established procedures.

l I c. Emeraency Procedures. Through discussions with workers verify that '

! licensee personnel understand and implement the established emergency l procedures and are aware of procedural revisions. Document in the inspection inspection record what activities the inspector observed.

When applicable, discuss with the licensee's representatives, or observe f (for the higher-priority licensees). the conduct of periodic tests and l drills, especially for scenarios involving fires and incidents involving I

device failures or loss of sources.

d. Safety Instruction. Verify that the licensee is providing and documenting radiation safety instructions, in accordance with 10 CFR 35.410. for all personnel caring for patients or human research subjects undergoing implant therapy.
e. Guidance for Permanent Imolants. Verify that the licensee is providing radiation safety guidance, in accordance with 10 CFR 35.415(a)(5). to all patients or human research subjects administered permanent implants,
f. Additional Reauirements for Licensees with Remote Afterloaders. The administrative and technical staff, including device operators, should be provided initial training and periodic retraining specific to the device model(s ) . at intervals not to exceed 12 months. This should include routine training required by 10 CFR 19.12 and training described in the license application. The licensee should also provide ancillary staff l (nurses, security staff, custodians, etc.) with initial training and l refresher training, at intervals not to exceed 12 months. Verify that the ,

required training is being provided that the individual (s) providing i instruction in the use of the afterloader is (are) named in the license application. and that records of the training are maintained for 3 years. -

l Also verify that device operators, physicians, and medical physicists are provided emergency training, including a dry run.

02.09 Ooeratina and Emeraency Procedures for Remote Afterloaders l a. Doeratina Procedures Conmon to All Remote Afterloaders. Verify that operating procedures are available at the console used to o)erate the remote afterloader. Posted operating procedures should be t1e same as Issue Date: XX/XX/XX 87118

those approved by NRC in the licensing process. If they are not the same, verify that any revisions to the procedures do not relax restrictiveness or degrade safe operation of the unit and have been approved by the RSC.

Note if the licensee is not required to have an RSC. the RSO should approve procedure changes.

b. Ooerations Soecific. to Hiah . Medium . and Pulsed-Dose-Rate Remote Af terloaders. At least one individual trained in the safe use of the device and who has practiced the emergency procedures for use of the l device must be physically present while the device is in use. -Verify that both the authorized user and either a nedical physicist or the RSO is physically present while the device is in use. Confirm that only the

! patient is in the treatment room during activation of the l remote afterloader.

c. Doerations Soecific to Low-Dose-Rate Remote Afterloaders. During patient treatments that extend over a period of several hours. a device operator trained in the energency procedures must be physically 3 resent at the licensee's facility or be available by telephone. Verify tlat the medical l physicist or RS0 and the authorized user are available for prompt i assistance in case a source appears to have decoupled or becomes jammed 1 in the catheter guide tube. Also verify that written instructions are l provided to nurses before use of the afterloading device. l
d. Emeraency-Procedures Common to All Remote Afterloaders. Observe whether emergency procedures are posted at the device console or in a conspicuous location within the treatment area. Individuals entering a treatment room l should carry a functional radiation detection survey meter if the room
monitor is non-functional. Verify that appropriate source recovery l

equipment is available for use.

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e. Patient Release. Determine by observing, and discussing with the licensee, that a process exists to establish that a patient administered permanent implants containing radioactive material is releasable from control under 10 CFR 35.75. Determine that written instructions are provided to released individuals on actions recommended to maintain doses ALARA if doses to other individuals are likely to exceed 0.1 rem. Verify that the licensee is recording (a) the basis for release of patients, when' necessary, and (b) that instructions are provided to breast-feeding women when required.

02.10 Area Radiation and Contamination Control i .

a. Area Survevs.
1. For All Brachytheraov Proarams. Verify, by observations and direct measurements, that the radiation levels are within the limits of 10 CFR Part 20. and that survey instruments are possessed in accordance with 10 CFR 35.420.

Immediately on completion of the therapy procedure, and before removal of the patient from the treatment room (or removal of the portable shields used during low-dose-rate remote afterloader prccedures), licensees should perform a radiation survey of the device and the patient to ensure that the source has been returned to the shielded position. Examine the licensee's records of these 87118 Issue Date: XX/XX/XX

s surveys to verify that these surveys are performed and that records I of these surveys are maintained for 3 years.

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2. Additional Recuirements for Licensees with Hiah- and Medium-Dose-Rate Afterloaders. Verify that surveys are conducted to ensure compliance with 10 CFR 20.1301. before initiating a treatment program and subsequent to each source exchange or replacement or relocation of the device. Also verify that survey records are retained for 3 years.
3. Additional Recuirements for Licensees with Low- and Pulsed-Dose- Rate Afterloaders. Verify that surveys are conducted to ensure com)liance with 10 CFR 20.1301 at the time of treatment program initiation and subsequent to each source exchange or replacement or relocation of the device. Also verify that survey records are retained for 3 years,
b. Leak Tests. Verify that leak tests of sealed sources are performed at the required frequency and are analyzed in accordance with the license. If records of leak test results sh:3. contamination in excess of the regulatory requirements, verify that the licensee made appropriate notifications and removed the source from service.

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c. Protective Clothina. Verify that radiation workers are provided with, and wear, the-appropriate protective clothing commensurate with activities being performed.

02.11 Radiation Protection

a. Radiation Protection Proaram. Verify that the licensee has develo)ed and

! 1mplemented a written radiation protection program commensurate with the licensee's activities, that the program includes ALARA provisions, and l that the program is reviewed at least annually, both for content i and implementation.

b. Radiation Protection Procedures. Verify that changes in the radiological protection procedures made since the last inspection are consistent with l regulations and license requirements. Determine whether the licensee was required by 10 CFR 35.13 to apply for license amendments for any of these changes.
c. Instruments and Ecuioment. Verify that radiation protection instruments and equipment are operable: have the proper alarm settings, if applicable.

and are calibrated and checked for appropriate response. in accordance l

with license requirements and licensee procedures.

1. Additional Recuirements for Licensees with Remote Afterloaders.

Verify that the licensee has in its possession portable survey instruments as specified in 10 CFR 35.420. These instruments must be calibrated in accordance with 10 CFR 35.51, and they must be checked for proper operation with a dedicated check source each day.

2. Additional Recuirements for Licensees with Hiah . Medium . and Pulsed-Dose-Rate Remote Afterloaders. Verify that the licensee has installed a permanent radiation monitor capable of continuously monitoring the source status in each dedicated treatment room. The monitor must: provide visible notice when the source is exposed or Issue Date: XX/XX/XX 87118

i partially exposed; be visible to an individual entering the treatment room; and be provided with a backup power supply separate from the l power supply used to operate the remote afterloader. Verify that the

! radiation monitor is checked daily, or on an as-used basis. for I proper operation with a dedicated check source. and that records l verifying the radiation monitor's operation are maintained

for 3 years.
d. Personnel Dosimeters. Verify that personnel dosimetry devices are worn by appropriate licensee personnel. For licensees with remote afterloaders, verify that all personnel entering restricted areas (treatment rooms) wear whole body badges. Dosimetry devices appropriate to the type, energy, or emitted radiation, and the anticipated radiation fields. should be issued to facility personnel.

Verify that dosimeters are by a National Voluntary l Laboratory Accreditation Programprocessed approved and-accredited processor.

Verify. that. pursuant to 10 CFR 19.13(b), the licensee advises each worker annually of the worker's dose, as shown in records maintained by the licensee pursuant to the provisions of 10 CFR 20.2106. " Records of individual monitoring results ,

l l e. Patient Release. Determine by observing, and discussing with the licensee, that a process exists to establish that a patient administered permanent, implants containing radioactive material is releasable from i control under 10 CFR 35.75. Determine that written instructions are provided to released individuals on actions recommended to maintain doses ALARA if doses to other individuals are likely to exceed 0.1 rem. Verify l that the licensee is recording (a) the basis for release of patients, when l necessary, and (b) that instructions are provided to breast-feeding women l when required.

02.12 Ouality Manaaement Proaram (OMP) and Misadministrations

a. Written OMP. Verify that a written OMP. commensurate with the l licensee's activities, has been established and implemented. Also.
verify that the OMP procedures address all of the applicable modalities on the license and all of the applicable objectives set forth in 10 CFR 35.32.
b. Review. Verify that the licensee has reviewed the OMP at least annually. If the reviews indicated that changes should be made in l the OMP program, verify that such modifications were made l and implemented.

l c. Records. Verify that records of each review are maintained in an auditable form for 3 years.

d. Misadministrations and Recordat le Events. Through review of the licensee's records, determine if the licensee is in compliance with the requirements for identification, notification, reports, and records for misadministrations and recordable events in 10 CFR 35.33.

02.13 Waste Manaaement i

Waste Storaae and Disoosal.

a. Verify that the waste is stored and controlled in a secure and safe manner, and that radiation levels in 87118 Issue Date: XX/XX/XX

unrestricted areas surrounding the storage area do not exceed the limits I of 10 CFR 20.1301. " Dose limits -for individual members of the public."

Verify that disposals of decay-in-storage waste are performed in accordance with the regulations and license conditions (medical licensees are specifically authorized to dispose of waste by decay in storage for waste with a half life of less than 65 days). If applicable, review the licensee's procedures and records to verify that each shipment of radwaste intended for offsite disposal is accompanied by a shipment manifest that includes all the required information.

Review the licensee's procedures and records to verify that each package of radwaste intended for shipment to a licensed land disposal facility is labeled, as appropriate, to identify it as Class A. B or C waste in accordance with the classification criteria of 10 CFR 61.55 [ Subsection II.I.A.2 of Appendix F to 10 CFR 20.1001-20.2401].

b. Transfer. Verify that radioactive sources are transferred to an l authorized recipient and that wastes if any, are transferred to a l recipient specifically licensed to receive radioactive waste.
c. Records. Verify that records of waste storage. transfer, and disposal are

, maintained in accordance with the requirements of 10 CFR Part 20 and the license.

~

l d. Financial Assurance and 0ecommissionina. Review the licensee's records of information important to the safe and effective decommissioning of the facility. Verify that the records are complete, updated, and assembled appropriately, in accordance with the requirements in 10 CFR 30.35(g).

Review the licensee's list of restricted areas required under 10

! CFR 30.35(g)(3) and determine whether rooms, laboratories, etc.. have been released since the last inspection. If areas have been released verify

! that the licensee has adequately decontaminated each room and documented the basis for releasing each room. Document the location of the released

! rooms in the inspection record, and document your findings regarding the l adequacy of the licensee's decontamination.

Verify whether radiological conditions at the facility have changed since the financial assurance instrument and/or decommissioning plan was ,

submitted such that either document needs to be changed to address the new l radiological conditions. Examples of changes are radiological incidents l such as process upsets. Unauthorized changes by the licensee to processes, types of licensed materials, possession limits, or chemical or physical forms of licensed materials may also prompt a reevaluation of whether the financial assurance instrument and/or decommissioning plan remains sufficient. If the inspector identifies changes that may affect the financial assurance instrument or decommissioning plan, he/she should immediately notify regional management.

If a parent company guarantee or a self-guarantee is used to ensure decommissioning financial assurance, review the licensee's financial assurance file to ensure that 10 CFR Part 30. Appendix A or Appendix C requirements are met.

e. Decommissionina Timeliness. Review compliance with the Decommissioning Timeliness Rule requirements in 10 CFR 30.36(d) through (h). This is one area of the inspection record that should be completed on all inspections.

If the license to conduct principal activities has expired or been Issue Date: XX/XX/XX 87118

f l

revoked: if the licensee has made a decision to permanently cease 3rincipal activities at the site or in any separate building: or if there 7

1as been a 24-month duration when no principal activities were conducted

[ at the site or in any separate building. then the decommissioning timeliness requirements in 10 CFR 30.36, 40.42. 70.38, or Part 72 apply.

If this is the case. complete in full the " Decommissioning Timeliness Inspection Attachment." Attachment A to Appendix A.

.02.14 Transoortation. Verify that the licensee's procedures and documentation are sufficient to ensure that licensed material is transported in accordance l with 10 CFR Part 71 and DOT regulations for transportation of l radioactive materials.

l 02.15 Postina and Labeling. Verify that the licensee has posted the appropriate

, documents, notices, forms. and caution signs as required. Also verify that l containers of licensed material, along with remote afterloaders and/or any l associated source storage containers, are labeled appropriately.

02.16 Generic Communications of Information. Confirm that the licensee is receiving the applicable bulletins. information notices. NMSS Newsletter. etc.

Verify that the licensee has taken appropriate action in response to these notices.

02.17 Notifications and Reoorts. Determine compliance with the regulations and license requirements for notification and reports to NRC and individuals. Verify that the licensee is in compliance with the requirements in 10 CFR 35.14 for medical licensees to notify the Commission about changes in the authorized user or RSO.

02.18 Soecial License Conditions. If applicable, review the licensee's compliance with any special license conditions.

02.19 Research Involvino Human Subiects. Verify that research involving human subjects is conducted in conformity with the provisions of 10 CFR 35.6.

02.20 Year-2000 Issues. Verify that the licensee has reviewed its computer software to ensure that any potential year-2000 problems have been identified and corrected.

02.21 Indeoendent and Confirmatory Measurements. Compare and verify. on a sampling basis, survey results or data that are used by the licensee to show compliance with the regulations or license conditions. Conduct independent measurements to ascertain the radiological conditions of the facility. In particular, confirm that radiation levels in restricted and unrestricted areas adjacent to treatment rooms meet the requirements of 10 CFR 20.1201 or 20.1301.

Conduct independent measurements on all inspections under this inspection

, procedure, unless warranted by special circumstances. If independent measurements were not made, provide a justification in the inspection record explaining why independent measurements were not performed. The inspector shall i use radiation detection instruments that are calibrated. at a minimum, on an j annual basis.

02.22 Exit Meetina. The inspector will conduct an exit meeting with senior licensee management and the RSO. to discuss the preliminary inspection findings, including any apparent violations, safety-related concerns, and any unresolved l

items identified during the inspection. Discuss any negative Performarice 87118 Issue Date: XX/XX/XX

Evaluation Factors (PEFs) and encourage the licensee to respond to the PEFs of concern. For further guidance refer to IP 87101. " Performance Evaluation Factors."

02.23 Post-Insoection Actions. After an inspection, the inspector shall summarize the findings with his/her appropriate NRC supervisor. This is especially important if there are, or are expected to be, controversial issues crising from the findings.

Inspectors shall also meet with regional licensing staff: when any pertinent licensing issues are raised during the inspection: when inspection findings impact on any licensing actions: to discuss the licensee's PEF results: or to give feedback on how the licensee has addressed recent licensing actions. This

-meeting shall be documented in the inspection record.

Additionally, in some instances, inspection findings will warrant communication with enforcement staff. Office of Investigations staff. State liaison staff, or Federal agencies with whom NRC has Memoranda of Understanding (MOUs). Similarly, if information related to year-2000 problems and solutions is obtained. it is to be conveyed to the NMSS Year-2000 Coordinator.

The inspector will ensure that inspection findings are clearly documented, and reported to the licensee as appropriate. The inspector shall also follow the i requirements of Inspection Manual Chapter (IMC) 0620. " Inspection Documents and '

Records." regarding notifying the licensee that retained information is subject to public disclosure and- giving the licensee the opportunity to request withholding it (see IMC 0620. Section (04.06.b.).

87118-03 INSPECTION GUIDANCE General. An examination of the licensee's records should not be considered the primary part of the inspection program. Rather, observations of activities in progress, equipment facilities and use areas. etc. will be a better indicator of the licensee's overall radiation safety program than a review of records, alone.

Some of the requirement and guidance sections of this procedure instruct the inspector to " verify" the adequacy of certain aspects of the licensee's program.

Whenever possible, verification should be accomplished through discussions, observations. and demonstrations.

In the records reviewed. look for trends such as increasing doses. Records such as surveys. waste disposal receipt and transfer of radioactive materials.

l training, and utilization logs may be examined randomly until the inspector is satisfied that the records are being maintained and are complete. Other records that are more closely related to health and safety (such as personnel dose-monitoring records and incident reports) should be examined in detail. The type of records that were reviewed and the time periods covered by these records l should be noted in the appropriate " Basis for Findings" section(s) of the i inspection record.

Retain a copy of each pertinent record that is needed to substantiate an inspection finding, such as a violation. Those copies shall be attached to the inspection record. When an inspector identifies an apparent violation, he/she should gather copies from the licensee, while onsite, of all records that are needed to support the apparent violation. In general, inspectors should use Issue Date: XX/XX/XX 87118

I caution before retaining copies of licensee documents, unless they are needed to support apparent violations, expedite the inspection (e.g. , licensee materials inventories), or make the licensing file more complete. In all cases where licensee documents are retained beyond the inspection, follow the requirements of IMC 0620. Especially ensure that the licensee understands that the retained record will become publicly available, and give the licensee the opportunity to request withholding the information pursuant to the requirements of 10 CFR 2.790(b)(1).

The inspector should keep the licensee apprised of the inspection findings throughout the course of the inspection and not wait until the exit meeting.

Whenever possible, the inspector should keep NRC management informed of l

significant findings (e.g.. safety hazards, willful violations, and other potential escalated enforcement issues) identified during the course of the inspection.

1 03.01 Preoaration. Before the inspection, the inspector should do the following:

e Review the licensee's previous inspection history (at a minimum, review

! the past two inspections), the license, and the status of any allegations l or incidents. Note the licensee's commitments in response to previous violations for followup during the inspection:

l e Review regional event / incident logs, event / incident files, and the docket file, to determine whether the licensee was involved in any incidents, recordable events, or misadministrations. If NRC did receive notification i of an incident, review that incident during the inspection and document l the licensee's followup in the inspection record:

  • In the inspection record, complete the administrative information. the

! inspection compliance history, the listing of any license amendments or program changes since the last inspection, and the description of any incidents or events that have occurred since the last inspection:

  • Determine the dates that the licensee submitted the most recent financial l assurance instrument and decommissioning plan (if applicable):

e Discuss the licensee's program with previous inspector (s) and/or license reviewer (s), as necessary:

l e Notify the appropriate State radiation control program personnel:

j e Review pending licensing actions; e Obtain a map of the area and/or directions; e Make travel arrangements and prepare itinerary:

  • Select calibrated instruments and perform source check:
  • Select appropriate documents: and e Select appropriate equipment to take.

87118 Issue Date: XX/XX/XX

l .

In selecting the appropriate documents, the inspector should consider taking the applicable regulations, inspection record, generic communications, license, NRC '

forms, etc.

In selecting the appropriate equipment the inspector should consider the licensed j activities to be inspected.

During the inspection, focus (among other areas) on whether the licensee is in ,

. compliance with any license amendments issued since the last inspection or with {

any program changes described by the licensee since the last inspection. This j

! re uires review of documentation submitted in support of the licensing action, 1 l behoretheinspection. The inspection represents NRC's first opportunity to l

verify whether the licensee has enacted the most recent changes to the license.

03.02 Entrance Briefina. After arriving on site, the inspector should inform the licensee's management representative of the purpose and scope of the l inspection to be performed. This notification s1ould be made as soon as practical after arriving on site. However, in certain instances (e.g.,

unannounced inspections at hospitals, which begin at early hours before management arrives on site), the inspector may choose to inform the licensee of his/her presence on site following initial observations of licensed activities currently in progress.

The purpose of the entrance briefing is to inform licensee management that an inspection is being conducted, and to indicate the tentative schedule for discussing or reviewing selected inspection items with various licensee staff personnel. However, in some instances, the inspector may only need to inform management of NRC's presence on site, and apprise management that an exit briefing will be conducted, at the end of the inspection, which will detail the t inspection findings.

l This is often an opportune time for the inspector to identify personnel to be interviewed. Scheduling interviews will enhance inspector efficiency and give the licensee the opportunity to have the most knowledgeable individuals present to respond in the areas being inspected.

Certain inspection items involving visual observations and/or records review are better performed unannounced; therefore, these types of items should not be discussed during the entrance briefing.

03.03 General Overview. The inspector will interview the cognizant licensee representatives to gain information concerning organization, scope, and l management oversight of the radiation safety program.

l a. Organization. The licensee's organizational structure will usually be found in the license application and may involve one or more individuals.

Determine the reporting structure between executive management, the RSO, the Chairperson of the RSC, and the other members of the RSC. Determine whether the RSO has sufficient access to licensee management. Through discussions with licensee staff, the inspector should determine if changes in ownership or staffing have occurred. If the owner or individuals named in the license have changed, determine whether the licensee has submitted a)propriate notification to NRC. This information must be provided w1enever changes in ownership or personnel are made. Ask licensee management if changes have occurred, or are anticipated, and ask personnel to confirm (to the inspector's satisfaction) that no changes have taken Issue Date: XX/XX/XX 87118

place. If there have been no changes in the organization since the previous inspection, there is no need to pursue this element in further detail.

The inspector should review any organizational change in the RSO position, authorities, responsibilities, and reporting chains. The inspector should be sensitive to changes that reduce the ability of the RSO to resolve concerns or issues related to the safe conduct of the radiation protection program. The inspector should ask licensee management and the RSO about the RS0's authority and about any changes that may impact on the RS0's l duties, responsibilities, or effectiveness. '

b. Scooe of Procram. Through discussions with licensee personnel, the inspector can obtain useful information about the types and quantities of material, frequency of use, incidents, etc., which cannot always be gained by reviewing records alone. This is also an op>ortunity for the inspector to discern the actual size and scope of the licensee's program, and to determine if significant changes have occurred since the previous inspection.

The inspector should determine if multiple places of use are listed on the license. This information should be confirmed with knowledgeable onsite individuals. In cases where there are multiple sites / satellite facilities, the inspector should determine if ins)ections should be performed- at all sites. This decision should be ]ased on IMC 2800.

" Materials Inspection Program." and regional policy for performing inspections at satellite facilities.

If the licensee authorizes use at satellite facilities, the inspector should determine if the licensee's radiation safety program-adequately controls use of materials and devices at all locations. If onsite visits are performed during the inspection, the inspector should review all aspects of the radiation safety pro, gram to verify that the radiation safety programs at the satellite facilities are maintained in compliance with the radiation safety program described in the license application.

c. Management Oversiaht. The inspection is a verification of the licensee's implementation of the required program. In the review to verify implementation, the inspector should pay particular attention to the scope of the program; frequency of licensee audits and the use of qualified auditors: procedures for recording and reporting deficiencies to management: and methods and completion of followup actions by management.
1. RSC - If an RSC is applicable to this licensee, topics of discussion should include ALARA reviews, incidents, generic communications, authorized users and uses, waste issues, audits, and misadministrations and recordable events, as defined in 10 CFR 35.2.

The RSC must consist of at least three individuals. It must include an authorized user from each type of use permitted by the license.

(If applicable, one of these authorized users should be directly involved with remote afterloader usage). It must consist of the RSO. a representative from the nursing service, and a management representative who is neither the RSO nor an authorized user. It must meet at least quarterly. The inspector should review meeting

! minutes (and interview selected committee members, when practical) to determine the committee's effectiveness.

87118 Issue Date: XX/XX/XX

1 4

Determine if the committes has been aggressive in seeking out areas needing improvement rather than just responding to events and information from outside sources. Determine whether the RSC has recommended any specific actions and assess the implementation of those recommendations. The inspector's review should be of sufficient depth and detail to provide an overall assessment of the committee's ability to identify, assess. and resolve issues. Also consider the effectiveness of the RSC to communicate the results of audits and trending analyses to appropriate personnel performing licensed activities. -

2. RSO - All medical licensees, including brachythera)y and remote afterloader licensees, must have an RSO. The RS0 is tae individual, appointed by licensee management and identified on the license, who l 1s responsible for implementing the radiation safety program. The inspector should verify that this individual is knowledgeable about l the program, and ensures that activities are being performed in accordance with approved procedures and the regulations. The inspector should verify that, when deficiencies are identified, the RSO has sufficient authority, without prior approval of the RSC. to implement corrective actions, including termination of operations l that pose a threat to health and safety.
3. Audits - The frequency and scope of audits of the licensed program will-vary. However, note that, at a minimum, medical institution licensees are required by 10 CFR 35.22(b)(6) to review the radiatim safety program content and imalementation at least annually. If applicable, the inspector shou'd verify that the remote afterloader program is included in any programmatic radiation safety audits. The results of audits should be documented. Examine these records with particular attention to deficiencies identified by the auditors, and note any corrective actions taken as a result of deficiencies found.

If no corrective actions were taken, determine why the licensee disregarded deficiencies identified during audits. and whether the lack of corrective actions caused the licensee to be in non-compliance with regulatory requirements.

d. Authorized Users. Authorized users may either be named in the license application or be appointed by the licensee. For those appointed by the licensee. verify that the authorized user is trained in accordance with the approved criteria and has knowledge commensurate with operational duties.

The regulations in 10 CFR 35.11(b) allow an individual to receive, possess, use, or transfer byproduct material for medical use "under the supervision of the authorized user. unless prohibited by license conditi on. These regulations do not specifically require that the authorized user be present at all times during the use of such materials.

The authorized user / supervisor is responsible for assuring that personnel under his/her supervision have been properly trained and instructed, pursuant to 10 CFR 35.25(a), and is responsible for the supervision of operations involving the use of radioactive materials, whether he/she is present or absent.

t For remote afterloader programs. verify that the afterloaders are used by or under the direct supervision of an authorized user through direct observation and interviews, or through review of utilization logs and Issue Date: XX/XX/XX 87118

l written directives. It is important to note whether the appropriate l individuals are present or available for assistance during treatments.

03.04 Walk-Throuah Orientation Tour. The inspector should make initial observations of licensed activities to determine that materials are being safely handled and that good health physics practices are followed. The inspector should look at areas of use, storage, and disposal to make an

! initial assessment of the licensee's ALARA program with regard to facility design, engineering controls, house-keeping practices. etc. The inspector should ensure that observations of activities are documented in the inspection inspection record.

03.05 Facilities l a. Reauirements for All Brachytheraov Licensees. Descriptions of the l facilities are generally found in the application for a license and subsequent amendments that are usually tied down to a license condition.

l The actual or as-built facility should be configured to provide safe working areas se)arated from unrestricted areas and sufficient access controls to prec' ude unauthorized entry. The inspector should also be aware of potential industrial safety hazards for referral to the U.S.

Department of Labor's Occupational Safety and Health Administration. i

b. Additional Reauirements for Licensees with Remote Afterloaders. Verify l that console keys are inaccessible to unauthorized persons. The inspector l should keep an eye out for remote afterloaders placed in treatment rooms I with other radiation-producing devices and ask authorized licensee personnel to demonstrate that only one device can be placed in operation .

l at a time. l

c. Additional Recuirements for Licensees with Hiah . Medium . and Pulsed-Dose- Rate Remote Afterloaders. The inspector should ask an authorized licensee representative to demonstrate that interlock systems are o)erational and should inquire about what action is taken by the staff w1en the interlock systems are found to be non-operational. The inspector should also confirm that the backup system used to observe patients is operational esd inquire about what action is taken by the staff when the backup system is non-operational.
d. Additional Reauirements for Licensees with Low-Dose-Rate Remote Afterloaders. The inspector should visually confirm that the licensee has portable shields and should interview staff to confirm that the shields are used during procedures.

03.06 Eauioment and instrumentation

a. Radiation Detection Eauioment. The inspector should be familiar with the l radiation detection equipment that the licensee is required by regulation

! or license condition to have in its possession, including survey instruments. The inspector should visually inspect the equipment and have a licensee's representative demonstrate that the equipment is operational.

The inspector should ask several staff members to demonstrate how instruments are operated and how daily checks are performed. The inspector should also ask what actions are taken when radiation detection equipment is non-functional .

l 87118 Issue Date: XX/XX/XX

All afterloaders except those with low-dose rate must have installed radiation monitors, and these monitors must be checked and maintained in i accordance with applicable requirements.

b. Inspectors should verify that licensees have procedures for identifying and reporting defects in accordance with Part 21. The complexity of the procedures will vary,
c. Additional Reauirements for all Licensees with Remote Afterloaders The inspector should visually inspect the remote afterloading device and/or any source storage devices to verify that only authorized devices are in use and that they are properly labeled.

The inspector should consider asking the licensee's staff to demonstrate how the backup battery for the device and the source position indicators are checked for proper operation.

In reviewing the maintenance logs, the inspector should look for recurring problems / repairs and generic problems. If recurring problems are identified, the inspector should note them in the inspection record and.

if significant, notify NMSS. The ins)ector should verify that the RSC is aware of the problem and evaluate t1e action taken by the licensee to address the problems. In reviewing the reports, the inspector should l determine-if any malfunctions should have been reported to NRC. pursuant to Part 21. ,

)

l The inspector should also review the calibration log to verify that the J calibration procedures stated in the license application are followed. '

! The inspector should consider asking the licensee's staff to provide a demonstration of some or all of the steps of the calibration procedure.

Verify that emergency equipment is available. This equipment includes i such items as shielded containers, remote handling tools, scissors, cutters, etc.

03.07 Materials l a. Receiot and Transfer of Licensed Materials. Depending on the size of the licensed program, the package receipt and transfer procedures (a few or i many) will be found in the license application. These procedures should l be carefully reviewed before an inspection is conducted. By discussions l

with the licensee, determine if the procedures have been changed or modi fied. Some changes will require a license amendment, whereas other minor changes (updating telephone numbers, editing procedures for clarity, etc. ) may not require NRC approval . Randomly examine procedures used by the licensee to determine if they are in accordance with those identified in the license application, or if they warrant a license amendment. When practical, the records of receipt and transfer should be compared with a i physical inventory of materials possessed. )

The procedures for picking up, receiving, and opening packages should i include how and when packages will be picked up radiation surveys and i wipe tests of packages to be done on receipt, and procedures for opening packages (such as the location in the facility where packages are received. surveyed and opened). The procedures also should include what actions are to be taken if surveys reveal packages that are contaminated Issue Date: XX/XX/XX 87118 i

in excess of s than expected.Ifpecified packageslimits, and/or arrive duringradiation levels the course of anthat are higher inspection, the inspector should, when practical, observe personnel perform the package receipt surveys. The inspector should randomly examine records of package surveys.

Examine the licensed materials accounting system. A relatively small facility will generally need to maintain receipt records, disposal records, and records of any transfers of material. However, a large facility will need a sophisticated accounting system which provides accurate information on the receipt of material, its location the quantity used and disposed of, the amount transferred to other laboratories operating under the same license, and the amount remaining after decay. The accounting systems should also consider radioactive material held for decay-in-storage, near-term disposal, or transfer to other licensees. In both types of accounting systems, the licensee should perform routine audits, to ensure the accuracy of the system.

b. Authorized Uses. Authorized uses of licensed material will be found in the licenses and license applications. Licenses will list the isotopes, physical or chemical forms, and the maximum possession limits.

Additionally, the ins 3ector should verify that the licensee's use of byproduct material is :imited to that which is authorized in the license.

c. Inventories. Verify that the licensee is conductin of all sealed sources and brachytherapy sources; in gaccordance a quarterlywith inventory 10 CFR 35.59. The inspector should physically examine the inventory of radioactive material on hand or examine records of receipt and transfer j to determine that quantities and forms are as authorized.
d. Material Security and Control. Examine areas where radioactive materials are used and stored. Storage areas should be locked and have limited and controlled access. Radioactive material use areas should be under constant surveillance or physically secured. Verify that radioactive materials, afterloaders, and storage devices are properly labeled. The licensee should have procedures for access controls. Controls may include a utilization log to indicate when radioactive material is taken from and
returned to storage areas. The inspector should verify that adequate controls are in place and working effectively.

l

e. Additional Recuirements for Licensees with Remote Afterloaders. The inspector shou'd review the method used by the licensee to confirm source homogeneity for sources used in the afterloading device. One acceptable method is autoradiography.

! f. Manual Brachytheraov. Verify that safety precautions in accordance with 10 CFR 35.415, are implemented. Patients should be surveyed and released, and records maintained, irt accordance with Part 35 requirements.

03.08 Trainina

a. General Trainina. Certain kinds of training and instruction are found in the regulations: how they are implemented will be found in the license.

Discuss with the licensee how, and by whom, training is conducted and the content of the training provided to workers (generally found in the license application).

1 87118 Issue Date: XX/XX/XX

I L

1 Verify. pursuant to 10 CFR 19.12. that instructions have been given to -

individuals who in the course of employment are likely to receive in a year an occupational dose in excess of 1 mSv (100 mrem). Under the basic instructions, it is management's responsibility to inform the workers of precautions to take when entering a restricted area, kinds and uses of radioactive materials in that area, exposure levels. and the types of protective equipment to be used. The workers should also be informed of the pertinent provisions of NRC regulations and the license, and the requirement to notify management of conditions observed that may, if not I corrected, result in a violation of NRC requirements. Also-verify that l authorized users and workers understand the mechanism for raising safety concerns.

Of the training program elements in the license application, training given to authorized users, and those individuals under the supervision of authorized users, is of primary importance. One or more users of radioactive materials should be interviewed to determine that they have received the required training, both in the basic instructions and in that specified in the license application. For some licensees, this includes specific training needed to perform infrequent procedures. Note that the training should be (and in most cases is required to be) provided to workers before the individual's performance of licensed activities. )

Randomly examine records of personnel training and tests (if applicable) to the extent that the inspector is satisfied that the training program is being implemented as required. Where examinations are required, read a few of the examination questions to ascertain that they are indicative of what the worker should know to carry out his/her responsibilities.

The inspector should also observe related activities and discuss the radiation sr.fety training received by selected individuals to assure that appropriate training was actually received by these individuals. For example, interview nursing staff to verify that radiation safety instruction required under 10 CFR 35.410 is provided. Authorized users and supervised individuals should understand the radiation protection recuirements associated with their assigned activities. The licensee's -

raciation safety training may include, but is not limited to.

demonstrations by cognizant facility personnel formal lectures. testing, films, and " dry runs" for more complex or hazardous operations.

b. Doeratina Procedures. Operating orocedures will be found in license applications and may vary from step ay-step procedures to more generalized procedures. The operating procedures will be approved by NRC and reviewed and updated by the licensee. Minor changes in radiation safety procedures may be made in accordance with 10 CFR 35.21(b)(6) or 35.31. Any major revision requires an amendment to the license, in accordance with 10 i CFR 35.13. The inspector should examine records of procedure revisions.  ;

The inspector should interview staff to determine if it is aware of the l location of the operating procedures and if it follows the operating procedures. In particular, the inspector should place emphasis on  !

determining if radiation surveys of the device and the patient are performed after a procedure is completed.

c. Emeraency Procedures. Emergency procedures will be found in license applications and may vary from step-by-step procedures to more generalized procedures. The emergency procedures wilI be approved by the NRC and Issue Date: XX/XX/XX 87118 l

c l

reviewed and updated by the licensee. For remote afterloaders. the l inspector should verify that each operator has received a copy of the l emergency procedures and that the procedures are posted at the I afterloader console.

l Some licensees may have agreements with other agencies (i.e., fire, law enforcement, and medical organizations) regarding response to emergencies.

Discuss with the licensee's representatives what has been done to ensure that agencies (involved in such agreements) understand their roles in emergency responses. -

03.09 Doeration of Remote Afterloaders

a. Doeratina Procedures Common to All Remote Afterloaders. For remote af terloaders, the inspector should verify: that afterloader devices and the associated sources are approved, authorized on the license, properly labeled, and that device calibrations are only performed by qualified authorized individuals (medical physicists): that device calibration measurements were performed following installation of a new source, before patient treatment and monthly thereafter: and that the afterloader is inspected annually.

Verify that patient and device are surveyed to ensure that the source is returned to the shielded position. Records of radiation surveys should be maintained for 3 years.

b. Doerations Soeci fic to Hiah . Medium . and Pulsed-Dose-Rate Remote Afterloaders. The inspector should confirm, by observation and/or interviewing staff, that at least one individual trained in the safe use of the device and who has practiced the emergency procedure for use of the device. is physically present while the device is in use. In addition, confirm that both the authorized user and either a medical physicist or RSO are physically present while the device is in use. For the purpose of this Inspection Procedure (IP) ~ physically present" is defined as l within audible range of normal human speech,
c. Doerations Soecific to Low-Dose-Rate Remote Afterloaders. The inspector should confirm by observation and or interviewing staff that at least one device operator trained in emergency arocedures is physically present at the licensee's facility or available )y telephone during device use. In addition, confirm that the medical physicist or RSO and the authorized user are available for prompt assistance in case a source appears to have decoupled or becomes jammed in the catheter guide tube.

The inspector should review the written instructions that are provided to nurses before use of the afterloading device. As part of this review, the inspector should attempt to interview nurses who have been involved in treatments using the device to determine their familiarity with the instructions.

d. Emeraency Procedures Common to All Remote Afterloaders. The inspector should determine if any incidents have occurred at the facility that resulted in staff implementing facility emergency procedures. If so, the inspector should interview the staff that was involved in the procedures i

and determine how the incident was handled. In particular. the inspector l should determine if NRC was notified and if not, why not.

l 87118 Issue Date: XX/XX/XX

O The inspector should interview staff regarding the anticipated actions that would be taken in an emergency situation. In particular the inspector should determine if staff is aware of the requirement to carry a functional radiation detection devices into the room if the room monitor

is non-functional. The inspector should determine if the staff is aware i

of the location of the alternative radiation detection devices since in l an emergency the staff would not have time to look for the monitor.

I The inspector should also interview staff to detennine if it is aware of the location of emergency source-recovery equipment. At -a minimum, emergency equipment should include shielded storage containers, remote I

handling tools, and if appropriate. supplies necessary to surgically remove applicators or sources from the patient, including scissors and cable cutters.

l 03.10 Area Radiation and Contamination Control l

l a. Area Surveys. By interviews and review of records, the inspector should examine the licensee's performance in conducting timely patient and area l surveys for brachytherapies (both permanent and temporary implants), as well as source-removal. patient-release, and room-release surveys. For most brachytherapy procedures, a radiation survey must be performed of the patient immediately after source removal. In addition to timely surveys, for afterloaders the inspector should also verify that back-up batteries for the source-retract systems are tested monthly, and that source position indicators are checked periodically.

The inspector may ask the licensee to spot check radiation levels in l selected areas. using the licensee's own instrumentation. For example, if a brachytherapy procedure is currently in progress, make measurements in adjacent unrestricted areas to confirm that the requirements of 10 CFR 20.1301 are met. However, the inspector must use NRC's instruments for independent verification of the licensee's measurements. (The inspector's instruments shall be source-checked before he/she leaves the regional office and be calibrated within the frequency required for the licensee.)

If practical observe how licensees conduct surveys, to determine the adequacy of surveys. Note the types of instruments used, and whether they are designed and calibrated for the type of radiation being measured.

Also, for remote afterloader programs, the inspector should verify.

through interviews and/or recorc reviews, that the licensee has performed surveys following source changes, device repair or device maintenance.

Verify that eating, drinking, and smoking are not permitted in contaminated areas. Verify that radioactive wastes are disposed of in proper containers,

b. Leak Tests. Through discussions with licensee personnel and/or by demonstration of leak-test procedures, the inspector should verify that leak tests are performed in accordance with 10 CFR 35.59.
c. Protective Clothina. Observation of the 3rotective clothing worn by brachytherapy personnel or other applicab'e staff during their work Issue Date: XX/XX/XX 87118

)

c activities should provide the inspector with an acceptable means of reviewing this requirement. Requirements for protective clothing may be found in the licensee's procedures or in precautions posted at the entrance to controlled areas.

03.11 Radiation Protection. Specific guidance is set forth in IP 83822.

" Radiation Protection."

.The inspection of the patient release criteria is to be performance-based. The inspector should be familiar with the content of Regulatory Guide 8.39. " Release of Patients Administered Radioactive Materials." Four distinct objectives should be addressed in establishing compliance with 10 CFR 35.75.

(1) The patient release criteria permit licensees to release individuals from control if the TEDE to any other individual is not likely to exceeu 0.6 rem. The licensee should be familiar with Regulatory Guide 8.39. The inspector should bring this Regulatory Guide to the attention of appropriate individuals if the licensee is not familiar with the Guide. In particular, the licensee should be familiar with the table of activities and dose rates for authorizing patient release and giving instructions. If the licensee is not using the tables in the Regulatory Guides as the basis for releasing the patient. tN licensee's practices should be reviewed.

(2) The ]icensee should be familiar with the requirements in 10 CFR i 35.75(b) to provide instructions to released individuals if the dose to any other individual is likely to exceed 0.1 rem. In general, the licensee is required to give instructions, including written instructions, on how to maintain doses to other individuals as low l as is reasonably achievable. The inspector may determine how the licensee is demonstrating compliance with this requirement by reviewing sample instructions and/or discussing the content of the instructions with applicable staff. If the licensee is required by the rule to provide instructions to breast-feeding women the instructions should include guidance on the interruption or discontinuation of breast-feeding and information on the consequences l

of failure to follow the guidance.

1 (3) Licensees are required to maintain, for three years, a record of the release if the patient's .TEDE has been calculated (1) using the retained activity rather than the activity administered. (2) using an occupancy factor less than 0.25 at 1 meter. (3) using the biological.or effective half-life, or (4) considering the shielding by tissue. If the licensee is not using these criteria, no record of the release is required.

, (4) If the TEDE to a breast-feeding child could exceed 0.5 rem if the l breast-feeding were continued. . licensees are required to document l that instructions are being provided per 10 CFR 35.75(d).

Section 19.13(b) requires that each licensee shall advise each worker annually of the worker's dose, as shown in dose records maintained by the licensee.

Verify.through discussions with workers and management, and through records review, that the licensee has advised workers of their doses, annually. The licensee must advise all workers for whom monitoring is required (and, therefore, dose records are required). The licensee must advise these workers of internal and external doses from routine operations, and doses received during planned 87118 Issue Date: XX/XX/XX

special exposures, accidents, and emergencies. The report to the individual must be in writing and must contain all the information required in 10 CFR 19.13(a).

03.12 Ouality Manaaement Proaram

a. OMP Directives. Inspectors should observe and interview individuals as they perform applicable duties to determine if the licensee's OMP, as implemented, effectively ensures that byproduct material, or radiation from byproduct material will be administered as directed by the authorized user. The review should include consideration of the licensee's implementation of a continuous improvement in the following processes: monitoring, identification, evaluation, corrective action, and preventative measures.
b. Review. The frequency of the OMP review may vary. However. 10 CFR 35.32 requires that a review of the OMP be performed at intervals of no greater than twelve months. The annual review of the licensee's OMP should include: (1) a representative sample of patient (and human research) administrations: (2) all recordable events: and (3) all misadministrations.
c. Records. Records of the OMP annual review should include each written directive. a record of each administered dose or dosage, and the evaluations and findings.
d. Misadministrations and Recordable Events. If during the inspection, a previously unidentified misadministration is identified by the inspector: (1) remind the licensee of the need to comply with the reporting requirements described in 10 CFR 35.33. " Notifications, reports, and records of misadministrations." and (2) follow the

]rocedure for reactive inspections and the guidance provided in ianagement Directive 8.10. NRC Medical Event Assessment Program."

For recordable events, verify that an evaluation was performed within 30 days after jscovery of a self-identified (identified by the licensee) event, and note the corrective actions that were taken.

If no, or inadequate, corrective actions were taken, determine whether the lack of corrective action caused the license to be in noncompliance with regulatory requirements. If a recordable event is identified by the inspector, bring the event to the attention of the licensee. The licensee has 30 days in which to evaluate the event and take any necessary corrective action.

03.13 Waste Manaaement

a. Waste Storaae and Disoosal. Verify that the waste is protected from fire and the elements. that package integrity is adequate'y maintained, that the storage area is properly ventilated, and that adequate controls are in effect to minimize the risk from other hazardous materials. Verify that the licensee has appropriate methods to track the items in storage.

Inspection effort should be directed at verifying that written procedures have been established in a manner approved by management. The procedures should be readily available to any persons having responsibility for low-level waste classification and preparation for transfer of such wastes to land-disposal facilities.

Issue Date: XX/XX/XX 87118 l

For further inspection guidance, refer to IP 84850. " Radioactive Waste Management-inspection of Waste Generator Requirements of 10 CFR Part 20 and 10 CFR Part 61."

b. Transfer. Ascertain if the licensee has an adequate method of determining that recipients of radioactive wastes are licensed to receive such waste (i.e. , licensee obtains a copy of the waste recipient's current license before the transfer). Generally, sources used for brachytherapy, including seeds and ribbons, are returned to the manufacturer. Sealed sources, used in afterloaders, are exchanged on receipt of a new source.
c. Records. Each licensee is required to maintain records of the disposal of licensed material made under 10 CFR 20.2002-2005.10 CFR Part 61. and I disposal by burial in soil. These records must be retained until the  !

Commission terminates each pertinent license requiring the record. The inspector should review these records to verify that disposals are made in accordance with the applicable regulations, and that records are complete and accurate for each type of disposal.

d. Financial Assurance and Decommissionina. The decommissioning record-keeping requirements are applicable to all materials licensees, including licensees with only sealed sources and are specified in 10 CFR 30.35(g).

These records should contain, among other information: (1) records of spills or other unusual occurrences involving the spread of contaminatim in and around the facility. equipment, or site (when contamination remains after cleanup, or when contaminates may have spread to inaccessible areas): (2) as-built drawings and modifications of structures and equipment in restricted areas where radioactive materials are used and/or stored, and locations of possible inaccessible contamination: (3) except ,

for areas with only non-leaking sealed sources or byproduct materials with l half-lives of less than 65 days, a single document detailing restricted  ;

areas and formerly restricted areas, buried waste areas requiring j decontamination that are outside of restricted areas and areas outside <

of restricted areas that, if the license expired, would have to be )

decontaminated or approved for disposal: and (4) records of the cost j estimate performed for a decommissioning funding plan or the amount l certified for decommissioning. This list is not all-inclusive of the ,

information and requirements given in 10 CFR 30.35(g). On all  !

inspections, including inspections of sealed-source licensees, the inspector should ensure that the licensee has such decommissioning  ;

records, that the records are complete, that they are updated as required. I and that the decommissioning records are assembled or referenced in an identified location.

Some licensees may release laboratories or other rooms within a building for unrestricted use, without a license amendment. The release of these areas may fall outside of the reporting requirements in the Decomissioning Timeliness Rule if the licensee continues to conduct other i activities in the same building. Inspectors should identify the rooms

! that have been released since the last inspection and perform confirmatory measurements to verify that radiation and contamination levels are below release limits. Licensee survey records and other documentation should be reviewed to verify that the basis for releasing each room is adequately documented in the licensee's decommissioning records.

Licensees submit financial assurance instruments and/or decommissioning plans for a specific set of conditions. Occasionally, those conditions 87118 Issue Date: XX/XX/XX

G may change over time and the licensee may not notify NRC. The inspector should be aware of changes in radiological conditions, while inspecting a licensee's facility that would necessitate a change in the financial assurance instrument and/or decommissioning plan, especially where the radiological conditions deteriorate and the financial assurance instrument or decommissioning plan may no longer be sufficient. In preparation for the inspection, the inspector should determine the dates that the financial assurance instrument and decommissioning olan (if applicable) were submitted to NRC. Then during the inspection, through observations, discussions with licensee >ersonnel, and records review, the inspector should determine whether tie radiological conditions at the licensee's facility have changed since the documents were submitted to NRC. If conditions have changed and the adequacy of the financial assurance instrument and/or decommissioning plan is in doubt, the inspector should immediately contact regional management from the licensee's site to discuss the situation.

Additionally, some licensees are required to maintain decommissioning cost l estimates and funding methods on file. If the licensee uses a parent-

company guarantee or a self-guarantee as a funding method, the inspector should verify that the licensee has a Certified Public Accountant certify.

each year, that the licensee passes a financial test. The financial test ratios for parent-company guarantees and self-guarantees are specified in l Section II. Appendix A and Appendix C. respectively, to Part 30.

! e. Decommissionino Timeliness. Determine whether the license to conduct a l l principal activity has expired or been revoked. If the license remains in eftect, determine if the licensee has made a decision to cease principal activities at the site or in any separate building. Finally, determine if there has been a 24-month duration in which no principal l activities have been conducted in such areas. A principal activity is one that is essential to the purpose for which a license was issued or amended, and does not include storage incidental to decontamination or decommissioning. If the licensee meets any of the above conditions, the decommissioning timeliness recuirements apply, and the inspector must complete the " Decommissioning Timeliness Inspection Inspection record." l l

Attachment A to Appendix A. l l The requirements of 10 CFR 30.36, 40.42. and 70.38 do not apply to l released rooms within a building where principal activities are still on- l going in other parts of the same building. However, in those cases, the inspector should follow the guidance in 03.13.d. regarding confirmatory measurements of the released area. Once principal activities have ceased i in the entire building, then the decommissioning timeliness requirements l will take effect.

The Decommissioning Timeliness Rule became effective on August 15. 1994.

In completing the Attachment A inspection record, specific guidance is needed regarding the timing of the notification requirements. If the license has expired or been revoked, or if the licensee has made a decision to permanently cease principal activities, and the licensee orovided NRC notification before Auoust 15. 1994, then August 15. 1994.

is considered to be the date for initiating the decommissioning calendar (i .e. . date of notification). If there has been a 24-month duration in which no principal activities have been conducted at the location before the effective date of the rule, but the licensee did not notify NRC, then Issue Date: XX/XX/XX - PS - 87118

r the 24-month time period of inactivity is considered to be initiated on August 15. 1994, and the licensee must provide notification to NRC within either 30 or 60 days of August 15, 1996 (depending on whether the licensee i requests a delay).

NRC has a stringent enforcement policy with respect to violations of the decommissioning timeliness requirements. Failure to comply with the Decommissioning Timeliness Rule (failures to: notify NRC: meet l

decommissioning standards: complete decommissioning activities, in accordance with regulation or license condition: to meet required decommissioning schedules without adequate justification) may be classified as a Severity Level III violation and may result in consideration of monetary civil penalties or other enforcement actions, as appropriate.

l l Decommissioning timeliness issues can be complex. For situations where an inspector has questions about the licensee's status and whether the decommissioning timeliness standards apply, he/she should immediately contact regional management.

For planning and conducting inspections of licensees undergoing decommissioning, refer to IMC 2602. " Decommissioning Inspection Program for Fuel Cycle Facilities and Materials Licensees": IP 87104

" Decommissioning Inspection Procedure for Materials Licensees"; and the draft Decommissioning Manual Chapter and Handbook.

03.14 Transoortation. If applicable, the inspector should review: the licensee's hazardous material training; packages and associated documentation:

vehicles (including alacarding, cargo blocking. and bracing, etc.): shipping papers; and any incidents reported to DOT. This is an ideal area for the inspector to mdke observations of licensee practices. The DDT and NRC regulations for transportation of radioactive materials were recently revised, and the revisions generally became effective April 1. 1996.

l For further inspection guidance. refer to IP 86740. " Inspection of Transportatim l Activities." Inspectors should also refer closely to Hazard Communications for

! Class 7 (Radioactive Materials), the NRC field reference charts on hazard communications for transportation of radioactive materials, which contain references to the new transportation requirements and are useful field references l for determining compliance with the transportation rules on labeling, placarding, l

shipping papers, and package markings, i

03.15 Postina and Labelina. The inspector should determine whether proper caution signs are being used at access points to areas containing radioactive materials and radiation areas. 10 CFR 20.1903 provides exceptions to posting caution signs. When applicable, the inspector should randomly examine signals and alarms to determine operability. The inspector should also randomly observe labeling on packages or other containers to determine that proper information (e.g. , isotope, quantity, and date of measurement) is recorded.

Areas with radiation hazards should be conspicuously posted, as required by 10 CFR 20.1902. Depending on the associated hazard, controls may include tape, rope, or structural barriers to prevent access. High radiation areas should be strictly controlled to prevent unauthorized or inadvertent access. Such controls may include. but are not limited to, direct surveillance. locking the high radiation area. warning lights, and audible alarms. Areas occupied by radiation

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l 87118 Issue Date: XX/XX/XX

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workers for long aeriods of time and common-use areas should be controlled in accordance with l'censee procedures and be consistent with the licensee's ALARA program.

The inspector should also examine locations where notices to workers are posted.

Applicable documents, notices, or forms should be posted in a sufficient number of places to permit individuals engaged in licensed activities to observe them on the way to or from any particular licensed activity location to which the posting would apply. l 03.16 Generic Communications of Information. Through discussions with licensee management and the RSO. the inspector should verify that the licensee is l receiving the applicable bulletins. information notices. NMSS Newsletter, etc..

and that the information contained in these documents is disseminated to appropriate staff personnel. Also verify that the licensee has taken appropriate action in response to these NRC communications, when a response is required.

03.17 Notifications and Reoorts. Through discussions with licensee personnel and by a review of representative records, the inspector should verify the licensee's compliance with submitting notifications and reports to the Commission. The licensee may be required to make notifications after loss or theft of material, overexposures. incidents, misadministrations and recordable events, high radiation levels, and safety-related equipment failure, etc.

03.18 Soecial License Conditions. Some licenses will contain special license conditions that are unique to a particular practice, procedure, or piece of equipment used by the licensee. In these instances, the inspector should verify that the licensee understands the additional requirements, and maintains compliance with the special license conditions. The inspector should also note that some special license conditions will state an exemption to a particular NRC requirement.

03.19 Research Involvino Human Subiects: This type of research must satisfy the following conditions: (1) All research is conducted, supported, or regulated by another Federal Agency that has implemented " Federal Policy for Protection of Human Subjects" [10 CFR 35.6]. or the licensee is authorized to conduct such research: (2) the licensee obtains informed consent from the subjects. as defined and described in the Federal Policy: and (3) the licensee obtains prior review and approval from an Institutional Review Board, as defined and described in the Federal Policy 03.20 Year-2000 Issues. Verifying that the licensee has reviewed its computer I software to ensure that any potential year-2000 problems have been identified and I corrected can be accomplished. in part, by covering the following points: (a)  !

confirm that the licensee received Information Notice 96-70. " Year 2000 Effect on Computer System Software." and Information Notice 97-61. "U. S. Department of Health and Human Services Letter to Medical Device Manufacturers, on the Year 2000 Problem"; (b) inform the licensee of the NRC list server on the year-2000 problem, and encourage its use in sharing any identified problems and solutions:

(c) determine whether the licensee has identified any potential problems, and if so, taken corrective action. (Note that if information related to year-2000 licensee-identified problems and associated corrections is obtained during the i inspection, the inspector is to convey it to the NMSS Year-2000 Coordinator.) l 03.21 Indeoendent and Confirmatory Measurements. Confirmatory measurements are those whereby the inspector compares his/her measurements with those of the licensee's. Independent measurements are those performed by the inspector Issue Date: XX/XX/XX 87118 3

1 1

  • l -

independently of the licensee's measurements. The inspector should perform independent and confirmatory measurements in restricted, controlled, and unrestricted areas of the licensee's facility. Independent measurements should be performed on all inspections, unless exceptional circumstances make it l impossible to perform the measurements (e.g., inspector's detection equipment malfunctions during an inspection trip). Measurements of dose rates at the boundaries of restricted areas should be performed at the surfaces of the most accessible planes. In addition, measurements should be taken in licensed I l material use and storage areas. To perform the independent or confirmatory measurements, use NRC radiation detection instruments that are ca-librated at least as frequently as required for the licensee being inspected.

03.22 Exit Meetina. When the inspection is over, there should be an exit j meeting with the most senior licensee representative present at the facility.

If a senior management representative is unavailable for the exit meeting, the inspector may hold a preliminary exit meeting with appropriate staff on site.

However, there must be a formal exit meeting with a senior management representative (and the licensee's RSO. if not present at the preliminary exit meeting) as soon as practical after the inspection. This meeting will usually be performed by telephone conference call.

During the exit meeting, the licensee representatives should be told the preliminary inspection findings--including any negative PEFs any apparent violations of regulatory requirements, any safety-related concerns, or unresolved items identified during the inspection, and the status of any previously l identified violations. The licensee must immediately address any significant safety concerns.  !

If the inspector identifies safety concerns or violations of significant regulatory requirements that affect safe operation of a licensee facility the licensee must initiate prompt corrective action. The inspector should not leave l the site until the concern is fully understood by the licensee and corrective  !

action has been initiated. If the inspector and the licensee disagree over how significantly the concern impacts continued safe operation of the facility, regional management should be notified immediately. ,

i Although deficiencies identified in some areas (e.g., workers' knowledge of the l Part 20 requirements) are not always violations, the inspector should bring such deficiencies to the attention of licensee management at the exit meeting and also in the cover letter transmitting the inspection record or Notice of Violation.

03.23 Post-Insoection Actions. Regional office policy will dictate with whom the inspector will review his/her inspection findings (e.g. , the inspector's l

supervisor), following the guidance in IMC 2800. The inspector should discuss l the findings in the detail that is commensurate with the scope of the licensee's program. Violations, items of concern (e.g. . negative PEFs), and unresolved l items should be discussed in sufficient depth for management to make appropriate l decisions regarding enforcement actions, referral to other State and Federai I agencies, and decisions on the scheduling of future inspections of the licensee's facility.

The inspector should also discuss inspection findings with licensing staff. This information exchange can be particularly useful if the licensee is having its license renewed or has recently submitted a license amendment request. The inspector should inform licensing staff about how the licensee has addressed (or failed to address) special license amendments or recent licensing actions.

87118 Issue Date: XX/XX/XX

G Licensing information requested by the licensee should also be discussed with the l licensing staff.

Inspectors should be aware that NRC has entered into several MOUs. with other Federal agencies, that outline agreements on items such as exchange of information and evidence in criminal proceedings. The inspector should ensure

{

that the exchange of information relevant to inspection activities is made in )

accordance with the appropriate MOU. I

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The inspector may report the results of inspections to the licensee either by  !

issuing an NRC Form 591 or a regional office letter to the licensee, following I the guidance in IMC 2800. The inspector must also ensure that the findings are documented in the inspection inspection record and/or inspection record, in 4 sufficient detail for the reader to determine what requirement was violated, how it was violated, who violated the requirement, and when it was violated. Copies of all licensee documents needed to support the violation should be attached to the inspection inspection record and/or inspection record. The inspection record should not be used as merely a checklist to note areas reviewed, but should be 4 used to describe what procedures or activities were observed and/or demonstrated '

by the licensee during the inspection, and any items of concern identified that were not cited as a violation of regulatory requirements.

Inspectors may complete the inspection record either by hand or electronically.

If the inspector is documenting the inspection record in electronic format, the sub-items under major sections that are not applicable or not reviewed may be deleted. However, the heading itself (e.g., " Radioactive Waste Management," or l

" Transportation") should remain in the inspection record, and the inspector j should enter appropriate remarks about why the section is not applicable or not reviewed.

For further inspection guidance, refer to Section 07.04 of IMC 2800.

87118-04 REFERENCES A listing of IMCs and IPs. applicable to the inspection program for materials licensees, can be found in Section 2800-11 of IMC 2800. These documents are to be used as guidelines for inspectors in determining the inspection requirements for operational and radiological safety aspects of various types of licensee activities.

S)eci fic references to regulatory requirements can be located in the "3rachytherapy Inspection References" Appendix to this IP.

END Appendix:

A. " Brachytherapy Inspection Record" B. " Brachytherapy Inspection References" Issue Date: XX/XX/XX 87118

l l

APPENDIX A l

BRACHYTHERAPY INSPECTION RECORD j Region Irispection Record No. License No.

. Ucensee (Name & Address): Docket No.

l l

l l

l Licensee

Contact:

Telephone No.

! Priority: Program Code:

l

, Date of Last inspection:

l Date of This inspection:

Type of Inspection: ( ) Announced ( ) Unannounced

( ) Routine ( ) Special

( ) Initial l Next inspection Date ( ) Normal ( ) Reduced ( ) Extended I

i Justification for change in normal inspection frequency:

Summary of Findings and Actions:

( ) No violations cited, clear U.S. Nuclear Regulatory Commission Form 591 or regional letter issued

( ) Non-cited violations

( ) Violation (s), Form 591 issued l ( ) Violation (s), regional letter issued l ( ) Followup on previous violations l

Inspector (s) Date l (Sign Name) l (Print Name) -

Approved Date (Sign Name)

(Print Name) i 87118, Appendix A A-1 issue Date: XX/XX/XX

PART l-LICENSE, INSPECTION, INCIDENT / EVENT, AND ENFORCEMENT HISTORY

1. AMENDMENTS AND PROGRAM CHANGES:

- (License amendments issued since last inspection, or program changes noted in the license.)

l AMENDMENT # DATE SUBJECT ,

l

\

l

2. INSPECTION AND ENFORCEMENT HISTORY:

(Unresolved issues; previous and repeat violations; Confirmatory Action Letters ;

and orders.)

1

3. INCIDENT / EVENT HISTORY:

(List any incidents or events reported to NRC since the last inspection. Citing "None" indicates that regional event logs, event files, and the licensing file have no evidence of any incidents or events since the last inspection.)

l Issue Date: XX/XX/XX A-2 87118, Appendix A

PART ll -INSPECTION DOCUMENTATION References that correspond to each inspection documentation topic are in Inspection Procedure (IP) 87118, Appendix B,

The inspection documentation part is to be used by the inspector to assist with the performance of the inspection. Note that not all areas indicated in this part are required to be addressed during each inspection. However, for those areas not covered during the inspection, a notation ("Not Reviewed" or *Not Applicable") should be made in each section, where applicable.

All areas covered during the inspection should be documented in suthcient detail to describe j what activities and procedures were observed and/or demonstrated. In addition, the types of recortis that were reviewed and the time periods covered by those records should be noted. If the licensee demonstrated any practices at yourrequest, describe thoso demonstrations. The observations and demonstrations you describe in this report, along with measurements and some records review, should substantiate yourinspection findings.

Attach copies of alllicensee documents and records needed to support violations.

I l

1. ORGANIZATION AND SCOPE OF PROGRAM.

(Management organizational structure; Radiation Safety Officer (RSO) and chairman of l Radiation Safety Committee (RSC); authorized locations of use; type, quantity, and .

frequency of byproduct material use) l I

2. MANAGEMENT OVERSIGHT:

(Management support to radiation safety; RSC; RSO; program audits or inspections; as low as reasonably achievable (ALARA) reviews; control and supervision by authorized j users) 87118, Appendix A A-3 issue Date: XX/XX/XX

3. FACILITIES:

(Facilities as described; uses; control of access; engineering controls; shielding; maintenance by authorized persons; remote afterloader facilities; pulsed 4ose-rate afterloader facilities; low-dose-rate afterloader facilities; interlocks; patient monitoring; approved locations of use )

4. EQUlGdENT AND INSTRUMENTATION-(Operable and calibrated survey instruments and dosimetry; procedures; 10 CFR Part 21 rpocedures; calibration records; fixed radiation monitors; backup power supplies for monitors and afterloaders;equipmentinspected as scheduled; emergencyequipment; calibration and maintenance by authorized persons) l
5. MATERIAL USE. CONTROL. AND TRANSFER:

(Materials and uses authorized; afterloader sources approved; security and control of licensed materials; and procedures for receipt and transfer of licensed material; source installation and replacement by authorized persons; patient surveys and release)

Issue Date: XX/XX/XX A-4 87118, Appendix A l

r i .

6. AREA RADIATION SURVEYS AND CONTAMINATION CONTROL :

(Radiological survey locations and frequencies; leak tests; inventories; handling of radioactive materials; records and reports; public doses; unrestricted area surveys; use of prutective clothing; proper waste disposal; shielding) l l

7. TRAINING AND INSTRUCTIONS TO WORKERS:

(Training and retraining requirements for authorized users and operators; documentation; interviews and observations of routine work; staff knowledge of all routine activities; 10 CFR Parts 19 and 20 requirements; emergency response and training for operators, physicians, nurses, and medical physicists; use and supervision l by authorized users) i l

l

8. OPERATING AND EMERGENCY PROCEDURES FOR REMOTE AFTERLOADERS:

l (Operating and emergency procedures posted; procedures approved; required persons present during afterloader use; surveys in unrestricted areas; leak testing; inventories) 1 i .

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t i

87118, Appendix A A-5 Issue Date: XX/XX/XX 1

l

i

9. RADIATION PROTECTION: l l (Radiation protection program with ALARA provisions; access control; dosimetry; l exposure evaluations; dose and survey records and reports; annual notifications to j workers; bulletins and other generic communications)  !

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1 l

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10. QUALITY MANAGEMENT (OM) PROGRAM. MISADMINISTRATIONS. AND REPORTABLE EVENTS.

l (Verify QM program administration and records and reports of misadministrations i and events) l 1

H l l l

i i

l 11. RADIOACTIVE WASTE MANAGEMENT-l (Disposal; effluent pathways and control; storage areas; transfer; packaging, control, l

and tracking procedures; equipment; incinerators, hoods, vents and compactors; license conditions for special disposal methods) l l

l Issue Date: XX/XX/XX A-6 87118, Appendix A

e

  • 12. DECOMMISSIONING:

(Records relevant to decommissioning; decommissioning plan / schedule; notification requirements; cost estimates; funding methods; financial assurance; and Timeliness Rule requirements; changes in radiological conditions since decommissioning plan was submitted.) i l

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13. TRANSPORTATION-l (Quantities and types of licensed material shipped; packaging design requirements; l shipping papers; HAZMAT communication procedures; retum of sources; procedures for l monitoring radiation and contamination levels of packages; HAZMAT training; and records and reports) l i

i l

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14. NOTIFICATIONS AND REPORTS:

(Overexposure and misadministration reports; administrative changes in RSO, l authorized users, and physicist; reports to individuals) i i

I 87118, Appendix A A-7 Issue Date: XX/XX/XX

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15. POSTING AND LABELING:

(Notices; license documents; regulations; bulletins and generic information; area postings; and labeling of containers of licensed material) l l

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l 16. INDEPENDENT AND CONFIRMATORY MEASUREMENTS:

(Areas, both restricted and unrestricted, surveyed and measurements made; comparison of data with licensee's results and regulations; and instrument type and calibration date.)

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17. VIOLATIONS. NON-CITED VIOLATIONS (NCVs). AND OTHER SAFETY ISSUES:

(State requirement and how and when licensee violated the requirement. For NCVs, indicate why the violation was not cited. Attach copies of all licensee documents needed to support violations.)

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l Issue Date: XX/XX/XX A-8 87118, Appendix A

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18. PERSONNEL CONTACTED:

[ldentify licensee personnel contacted during the inspection (including those individuals contacted by telephone).]

1 Use the following identification symbols: ,

  1. individual (s) present at entrance meeting l
  • Individual (s) present at exit meeting
19. PERFORMANCE EVALUATION FACTORS:  ;

A. Lack of senior management involvement with the radiation safety program and/or RSO oversight ()Y()N B. RSO too busy with other assignments ()Y()N C. Insufficient staffing ()Y()N D. RSC fails to meet or functions inadequately () N/A ()Y()N E. Inadequate consulting services or inadequate audits conducted () N/A ()Y()N l Remarks (consider the above assessment and/or other pertinent performance evaluation factors (PEFs) with regard to the licensee's oversight of the radiation safety program):

20. Soecial Conditions or issues:

(Special license conditions; year-2000 effects of computer software)  !

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87118, Appendix A A-9 issue Date: XX/XX/XX

l PART 111 - POST-INSPECTION ACTIVITIES ,

l l 1. REGIONAL FOLLOWUP ON PEFs: J l

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2. DEBRIEF WITH REGIONAL STAFF:

(Post-inspection communication with supervisor, regionallicensing staff, Agreement State Officer; and/or State Liaison Officer) l l

i l 3. YEAR-2000 ISSUES:

l (Convey, to the NMSS Year-2000 Coordinator, all year-2000 licensee-identified problems and corrective actions taken.)

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l END issue Date: XX/XX/XX A-10 87118, Appendix, A

1 APPENDIX A - ATTACHMENT A DECOMMISSIONING TIMELINESS INSPECTION ATTACHMENT l

Licensee:

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l Date of Inspection:

1. COMPLIANCE WITH DECOMMISSIONING TIMELINESS RULE -

l (NOTE: Repeat the answers given in Section 12 of the main body of the inspection record. The issues in subsequent sections are dependent on the answers to these questions.)

A. License to conduct a principal activity ban expired or been revoked ()Y()N B. Licensee hai made a decision to permanently cease principal activities, at the entire site, or any separate buildings, or any outdoor areas, including inactive burial grounds ()Y()N  !

C. A 24-month duration has passed in which no principalactivities have been conducted under l the license at the site, or at any separate buildings, or any outdoor areas, including inactive burial grounds ()Y()N D. If"Yes" to either A or B or C above:

(1) Identify Site / Bldg / Area:

(2) Date of occurrence of A, B, or C:

2. NOTIFICATION REQUIREMENTS A. Licensee has provided written notification to the U.S. Nuclear Regulatory Commission (NRC) within 60 days of the occurrence of 1.A.,1.B., or 1.C. above ()Y()N If"Yes," date of notification:

i B. If the licensee is requesting to delay initiation of the decommissioning process, the licensee has provided written notification to NRC l within 30 days of occurrence of 1.A.,1. B., .

l or 1.C. above ( ) N/A ( ) Y ( ) N l if "Yes," date of notification:

Basis for Findings: ,

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issue Date: XX/XX/XX AA-1 Appendix A, Att. A

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3. DECOMMISSIONING PLAN / SCHEDULE REQUIREMENTS A. Licensee is required to submit a decommissioning plan per 10 CFR 30.36(g),40.42(g),70.38(g), or 10 CFR Part 727 ()Y()N If "No" to 3.A., answer the following items B. - F.: -

B. The decommissioning work scope is covered by current license conditions ()Y()N C. Decommissioning has been initiated within 60 days of notification to NRC, or NRC has granted a delay ()Y()N D. If licensee has initiated decommissioning, give date the decommissioning was initiated:

Initiation date:

E. If decommissioning has been completed, it was completed within 24 months of notification to NRC. ( ) N/A ( ) Y ( ) N

F. If decommissioning is still scheduled to be completed, it is on schedule to be completed within 24 months of notification to NRC ( ) N/A ( ) Y ( ) N Basis for Findings

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87118, Appendix A, Att. A AA-2 issue Date: XX/XX/XX

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if "Yes" to 3.A., answer the following items G. - J.: i G. The decommissioning plan has been submitted to NRC within 12 months of notification ()Y()N If"Yes," date of submittal:

)

If NRC approved, date of NRC approval:

H. Has the licensee submitted an altemative schedule request? ()Y()N lt "Yes," date of submittal:

1. If decommissioning has been completed, it was completed within 24 months after approval of the decommissioning plan ( ) N/A ( ) Y ( ) N J. If decommissioning is still scheduled to be completed, it is on schedule to be completed within 24 months after approval of the decommissioning plan ( ) N/A ( ) Y ( ) N Basis for Findings: ,

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Violations identified,if any:

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Issue Date: XX/XX/XX AA-3 Appendix A, Att. A

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APPENDlX B BRACHYTHERAPY INSPECTION REFERENCES

1. ORGANIZATION AND SCOPE OF PROGRAM License spplication and applicable license conditions.
2. MANAGEMENT OVERSIGHT -

A. Radiation Safety Committee j 10 CFR 35.22 Radiation safety committee.

10 CFR 35.23 Statements of authority and responsibility.

10 CFR 35.31 Radiation safety program changes.

Applicable license conditions.

B. Radiation Safety Officer 10 CFR 35.21 Radiation safety officer.

10 CFR 35.23 Statements of authority and responsibility.

Applicable license conditions.

C. Audits, Reviews, or Inspections -

10 CFR 20.1101 Radiation protection programs.

10 CFR 20.2102 Records of radiation protection programs. l l 10 CFR 35.22 Radiation safety committee.  ;

l 10 CFR 35.32 Quality management program. l Applicable license conditions.

D. ALARA 10 CFR 20.1101 Radiation protection programs.

10 CFR 35.20 ALARA program.

! Applicable license conditions.

i E. Authorized Users l

10 CFR 35.22 Radiation safety committee.

10 CFR 35.940 Training for use of brachytherapy sources.

l 10 CFR 35.941 Training for ophthalmic use of Sr-90.

l Applicable license conditions.

3. FACILITIES A. Access Control -

10 CFR 20.1601,1602 Control of access to high/very high radiation areas.

' 10 CFR.20.1801 Security of stored material.

10 CFR 20.1802 Control of material not in storage.

10 CFR 35.415 Safety precautions.

Applicable license conditions.

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lssue Date: XX/XX/XX B-1 87118, Appendix B

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B. Engineering Controls 10 CFR 20.1101 Radiation protection programs.

Applicable license conditions.

4. EQUIPMENT AND INSTRUMENTATION A. Survey Instruments and Dosimetry. -

10 CFR 20.1501 General.

10 CFR 20.2103 Records of surveys.

10 CFR 21.21 Notification of failure to comply.

10 CFR 35.51 Calibration and check of survey instruments.

I 10 CFR 35.415 Safety precautions.

10 CFR 35.420 Possession of survey instruments.

Applicable license conditions.

B. Safety Component Defects i

Applicable license conditions.

5. MATERIAL USE. CONTROL. AND TRANSFER A. 10 CFR 35.400 Use of sources for brachytherapy.

License and applicable license conditions.

l B. Security and Control 10 CFR 20.1003 Definitions. ,

10 CFR 20.1801 Security of stored material.  !

l 10 CFR 20.1802 Control of material not in storage. ,

10 CFR 35.406 Brachytherapy sources inventories. l C. Receipt and Transfer of Licensed Material 10 CFR 20.1302 Compliance with dose limits for individual members of the public.  !

10 CFR 20.1906 Procedures for receiving and opening packages.

10 CFR 20.1501 General.

l 10 CFR 20.2103 Records of surveys.

l 10 CFR 30.41 Tra0nsfer of byproduct material, j 10 CFR 30.51 Records of receipt and transfer.

D. Manual Brachytherapy 10 CFR 35.75 Release criteria, 10 CFR 35.404 Release of patients.

10 CFR 35.406 Brachytherapy sources inventories.

10 CFR 35.415 Safety precautions.

RG 8.39 Release of Patients Administered Radioactive Materials.

Applicable license conditions.

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87118 Appendix B B-2 issue Date: XX/XX/XX

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6. AREA RADIATION SURVEYS AND CONTAMINATION CONTROL A. Area Surveys 10 CFR 20.1301 Dose limits for individual members of the public.

10 CFR 20.1302 Compliance with dose limits for individual members of the public.

10 CFR 20.1501 General. '

10 CFR 20.2103 Records of surveys. -

10 CFR 20.2107 Records of dose to individual members of the public.

10 CFR 35.51 Calibration and check of survey instruments.

10 CFR 35.70 Surveys for confirmation and ambient exposure rate.

10 CFR 35.420 Possession of survey instruments.

Applicable license conditions.

B. Leak Tests and inventories 10 CFR 35.59 Requirements for possession of sealed sources and brachytherapy sources.

I 10 CFR 35.406 Brachytherapy sources inventories.

Applicable license conditions.

7. TRAINING AND INSTRUCTIONS TO WORKERS -

General i

10 CFR 19.12 Instruction to workers.

i 10 CFR 35.25 Supervision.

l 10 CFR 35.400 Use of sources for brachytherapy.

l 10 CFR 35.410 Safety instruction.

10 CFR 35.940 Training for use of brachytherapy sources.

10 CFR 35.941 Training for ophthalmic Sr-90 source.

10 CFR 35.970 Training for experienced authorized user.

Knowledge of Part 20 radiation protection procedures and requirements.

Applicable license conditions.

8. OPERATING AND EMERGENCY PROCEDURES 10 CFR 35.404 Release of patients. ,

Applicable license conditions.  !

9. RADIATION PROTECTION I

A. Radiation Protection Program

1. Exposure evaluation 4

10 CFR 20.1501 General.

- 2. Programs 10 CFR 20.1101 Radiation protection programs.

10 CFR 35.31 Radiation safety program changes.

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I Issue Date: XX/XX/XX B-3 87118, Appendix B

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B. Dosimetry

1. Dose Limits 10 CFR 20.1201 Occupational dose limits for adults.

10 CFR 20.1202 Compliance with requirements for summation of external and intemal doses.

10 CFR 20.1207 Occupational dose limits for minors.

10 CFR 20.1208 Dose to an embryo #etus. -

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2. Extemal 10 CFR 20.1501 General.

10 CFR 20.1502 Conditions requiring individual monitoring of external and ir,temal occupational dose.

Applicable license conditions.

C. Records 10 CFR 19.13 Reports to workers.

10 CFR 20.2102 Records of radiation protection programs.

10 CFR 20.2103 Records of surveys.

10 CIER 20.2104 Determination of prior occupational dose.

10 CFR 20.2106 Records of individual monitoring results.

10. QUALITY MANAGEMENT PROGRAM. MISADMINISTRATIONS. EVENTS 10 CFR 35.02 Definitions.

10 CFR 35.32 Quality management program.

10 CFR 35.33 Notifications, reports, and records of misadministrations.

11. WASTE MANAGEMENT A. Disposal 10 CFR 20.1904 Labeling containers.

10 CFR 20.2001 General waste disposal requirements.

10 CFR 20.2103 Records of surveys.

10 CFR 20.2003 Disposal by release into sanitary sewerage.

B. Effluents

1. General IP 87102 Maintaining Effluents from Materials Facilities as Low As is Reasonably Achievable (ALARA).
2. Release to septic tanks 10 CFR 20.1003 Definitions (sanitary sewerage).

10 CFR Part 20, Limits.

App. 8, Table 2 i

87118, Appendix B B-4 Issue Date: XX/XX/XX

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3. Incineration of waste 10 CFR 20.2004 Treatment or disposal by incineration.
4. Control of air effluents and ashes 10 CFR 20.1201 Occupational dose limits for adults.

10 CFR 20.1301 Dose limits for individual members of the public.

10 CFR 20.1501 General. -

10 CFR 20.1701 Use of process and other engineering controls.

Applicable license conditions.

C. Waste Management  !

1. General 10 CFR 20.2001 Waste disposal: general requirements.

IP 84850 Radioactive Waste Management - Inspection of Waste generator Requirements of 10 CFR Part 20 l and 10 CFR Part 61. l

2. Waste Compaction

, Applicable license conditions.

3. Waste storage areas 10 CFR 20.1801 Security of stored material. l 10 CFR 20.1902 Posting requirements.

10 CFR 20.1904 Labeling containers. ,

Applicable license conditions.  !

4. Packaging, control and tracking 10 CFR Part 20, Requirements for low-level waste transfer for Appendix F disposal at land disposal facilities and manifests. l 10 CFR 20.2006 Transfer for disposal and manifests.

10 CFR 61.55 Waste classification.

10 CFR 61.56 Waste characteristics.

5. Transfer 10 CFR Part 20, Requirements for low-level waste transfer for Appendix F disposal at land disposal facilities and manifests.

10 CFR 20.2001 Waste disposal: general requirements.

10 CFR 20.2006 Transfer for disposal and manifests.

6. Records i 10 CFR 20.2103 Records of surveys.

l 10 CFR 20.2108 Records of waste disposal.

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I Issue Date: XX/XX/XX B-5 87118, Appendix B

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12. DECOMMISSIONING 10 CFR 30.36 Expiration and termination of licenses and decommissioning of sites and separate buildings or outdoor areas.

IMC 2602 Decommissioning Inspection Program for Puel Cycle Facilities and Materials Licensees.

IP 87104 Decommissioning inspection Procedure for Materials Licensees.

13. TRANSPORTATION -

A. General NRC Charts Hazard Communication for Class 7 (Radioactive)

Materials. l 10 CFR 71.5 Transportation of licensed material. l Tl 2515/133 Implementation of Revised 49 CFR Parts 100-179 and 10 4 CFR Part 71. i B. Shippers - Requirements for Shipments and Packaging

1. General Requirements.

49 CFR Part 173, Class 7 (radioactive) materials.  !

, Subpart I l 49 CFR 173.24 General requirements for packagings and packages. l 49 CFR 173.448 General transportation requirements.

49 CFR 173.435 Table of A, and A2 values for radionuclides.

2. Transport Quantities 10 CFR 71.4 Definitions.
a. All quantities 10 CFR 71.4 Definitions.

l 49 CFR 173.410 General design requirements. j 49 CFR 173.441 Radiation levellimitations. ,

49 CFR 173.443 Contamination control.  !

49 CFR 173.475 Quality control requirements prior to each shipment of Class 7 (radioactive) materials.

49 CFR 173.476 Approval of special form Class 7 (radioactive) materials.

b. Limited quantities 49 CFR 173.421 Excepted packages for limited quantities of Class 7 (radioactive) materials.

l 49 CFR 173.422 Additional requirements for excepted packages containing Class 7 (radioactive) materials.

87118, Appendix B B-6 issue Date: XX/XX/XX

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c. Type A quantities 49 CFR 173.412 Additional design requirements for Type A packages.

49 CFR 173.415 Authorized Type A packages.

49 CFR 178.350 Specification 7A; general packaging, Type A.

d. Type B quantities -

lP86740, Section 2 Inspection of transportation activities.

e. LSA material and SCO 49 CFR 173.403 Definitions.

49 CFR 173.427 Transport requirements for low specific activity (LSA) Class 7 (radioactive) materials and surface contaminated objects I (SCO).

3. HAZMAT Commr.aication Requirements 49 CFR 172.200-205 Shipping papers.

, 49 CFR 172.300-338 Marking.

49 CFR 172.400-450 Labeling.

49 CFR 172.500-560 Placarding.

49 CFR 172.600-604 Emergency response information.

C. HAZMAT Training 49 CFR 172.702 Applicability and responsibility for training and testing.

49 CFR 172.704 Training requirements.

D. Transportation by Public Highway 49 CFR 171.15 Immediate notice of certain hazardous materials incidents.

49 CFR 171.16 Detailed hazardous materials incident reports.

49 CFR 177.800 Purpose and scope of this part and responsibility for compliance and training.

49 CFR 177.616 Driver training.

49 CFR 177.842 Loading and unloading: Class 7 (radioactive) material.

14. NOTIFICATIONS AND REPORTS 10 CFR 19.13 Notifications and reports to individuals.

10 CFR 21.21 Notification of defects.

10 CFR 20.2201 Reports of theft or loss of licensed material.

10 CFR 20.2202 Notification of incidents.

10 CFR 20.2203 Reports of exposures, radiation levels, and concentrations of radioactive material exceeding the constraints or limits.

l 10 CFR 30.50 Reporting requirements.

10 CFR 35.14 Notifications.

10 CFR 35.33 Notifications, reports, and records of misadministrations.

i Applicable license conditions.

15. POSTING AND LABELING 10 CFR 19.11 Posting of notices to workers.

Issue Date: XX/XX/XX B-7 87118, Appendix B

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1e i '* 10 CFR 20.1902 Posting r:quir:msnts.

10 CFR 20.1903 Ex2mptions to posting rsquirements.

10 CFR 20.1904 Labeling containers.

10 CFR 20.1905 Exemptions to labeling requirements.

10 CFR 35.610 Safety instruction.

10 CFR 21.6 Posting requirements.

l Applicable license conditions.

16. INDEPENDENT AND CONFlRMATORY MEASUREMENTS

\ .

No references.

17. VIOLATIONS. NON-CITED VIOLATIONS AND OTHER SAFETY ISSUES NUREG/BR-0195, Rev.1 NRC Enforcement Manual.

NUREG-1600 General Statement of Policy and Procedures for NRC Enforcement Actions.

18. PERSONNEL CONTACTED No references.
19. PERFORMANCE EVALUATION FACTORS IP 87101 , Performance Evaluation Factors. .

END Issue Date: XX/XX/XX B-8 87118, Appendix B