ML20235W010
| ML20235W010 | |
| Person / Time | |
|---|---|
| Site: | 05000142 |
| Issue date: | 01/31/1985 |
| From: | Norderhaug L NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION V) |
| To: | NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION V) |
| Shared Package | |
| ML20235V882 | List: |
| References | |
| FOIA-85-196 UCLA-PP-2-1, NUDOCS 8903100456 | |
| Download: ML20235W010 (1) | |
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NUCLEAR RESULATORY COMMISSION
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1460 MARIA LANE, SUITE 210 RALNUT CREEK. CALIFORNIA 94606 I
31 January 1985 EIl0RANDUN FOR: Files (UCLAPP-2-1)
FROM:
L. R. Nordertiaug Senior Material Control Analyst
SUBJECT:
PHYSICAL SECURITY PLAN REVISION On October 18, 1984 UCLA submitted to the NRC, Revision No. 8 to their Phytical Security Plan.
In the course of sty review and in light of UCLA's decision to retract their application for license renewal I called Niel Ostrander on January 30, 1985. He noted that all of the reactor fuel has now been transferred off-site. We have seen NRC Fom 741's documenting these transfers.
Ostrander noted that the only SNM held under their reactor license is a PuBe start-up source which they are in the process of transferring to their State license.
UCLA, holding a total of about 30 grams of SNM,is exempt from the requirements for a security plan (10 CFR 73.67(c)(1).
Niel considers their October 18, 1984 submission to be null and void.
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', Jj L. R. Norderhah, Senior Material Control Analyst
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1WTVERSITY OF CALIFORNIA, L NCELES UCLA
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Mr. Harold Denton, Director Nuclear Reactor Regulation U.S. Nuclear Regulatory Comission Washington, D.C. 20555 ATTN: $$PB Docket No.
50-142 License No. R-71
Dear Mr. Denton:
In regard to the subject license at 2.B.(2), UCLA no longer possesses k
the contained uranium 235 described in that paragraph. Further, because the 32 grams of plutonium as a plutonium-beryllium neutron source are exempted from the requirements of Part 73 at 10 CFR 73.67 (b)(1)(ii). UCLA is no longer required to have an approved plan for the protection of special nuclear material pursuant to 10 CFR Part 73.
However, we want to maintain the security systems (i.e. locks,
.detectiondevices, alarms)intactandviable: to protect property; control access durinD the reactor dismantling operations; and also for potential use to provide security for whatever future use we may have for that building. The security systems and plan are UCLA's property and we wish to restrict the dissemination of information about what hardware is installed and how it works.
Therefore, we request that a11' copies of our NRC-approved security plan and amendments thereto, be:
(a)returnedtoUCLA; or(b) treated as UCLA proprietary information and kept from public disclosure.
Since aly, h5 Walter F. Wegst Director Office of Research and Occupational Safety bec:
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