ML20217N863

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Provides Followup to 980126 Meeting Between Us Enrichment Corp (USEC) & NRC Re Proposed Changes to USEC Applications
ML20217N863
Person / Time
Site: Portsmouth Gaseous Diffusion Plant, Paducah Gaseous Diffusion Plant
Issue date: 02/06/1998
From: Pierson R
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Toelle S
UNITED STATES ENRICHMENT CORP. (USEC)
References
NUDOCS 9803090291
Download: ML20217N863 (2)


Text

February 6, 1998 e

Mr. Steven Toelle Manager, Nuclear Regulatory Assessment and Policy U.S. Enrichment Corporation Two Democracy Center 6903 Rockledge Drive Bethesda, MD 20817

Dear Mr. Toelle:

This letter is a followup to the meeting held January 26,1998, between United States Enrichment Corporation (USEC) staff and Nuclear Regulatory Commission staff regarding proposed changes to USEC applications.

NRC believes that the Compliance Plan should be maintained in its original form to document the regulatory transition from DOE to NRC. In order to keep its form intact, all original compliance plan issues should be retained in the document, however, completed compliance plan issues need not be updated to reflect post-completion Safety Analysis Report (SAR) changes. Furthermore, discussion sections of the SAR entitled " items addressed by the Compliance Plan" may be deleted once all compliance plan actions discussed in that section are completed. These changes to the applications are intended to ir dicate USEC completion of compliance plan issues while simultaneously preserving the odginal Compliance Plan document.

Please contact Priya Patel (301) 415-5757, with any questions.

Sincerely, DMft9199MN I

Robert C. Pierson, Chief Special Project Branch Division of Fuel Cycle Safety and Safeguards, NMSS Docket 70-7001, 70-7002 Distribution:

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r. Steven Toelle M ager, Nuclear Regulatory Assessment policy
  • an U.S. En hment Corporation Two Demo acy Center 6303 Rockle Drive Bethesda, MD 2 17

Dear Mr. Toelle:

J This letter is a followup to m ting held January 26,1998, and subsequent conversations between United States Enrichm t Corporation (USEC) staff and Nuclear Regulatory Commission staff regarding propos changes to USEC applications.

NRC desires that the Compliance Plan b aintained in its original form to document tha regulatory transition from DOE to NRC. In der to keep its form intact, all original compliance plan issues should be retained in o document, however, completed compliance plan issues need not be updated to reflect post-mpletion Safety Analysis Report (SAR) changes. Furthermor.s, di..ussion sections of the R entitled " Items addressed by the Compliance Plan" mLy be deleted once all compliance Ian actions discussed in that section are completed. These changes to the applications are in nded to indicate USEC completion of compliance plan issues while simultaneously preserving e original Compliance Plan document.

Please contact Priya Patel (301) 415-5757, wkh any questions.

Sincerely, Robert C. Pierson, Chief Special Prcject Branch Division of Fuel Cycle Safety and Safeguards, NMSS Docket 70-7001, 70-7002 Distribution:

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