ML20237A316

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Informs That Sterigenics Acquired Certain Assets of Rti,Inc, However Stergenics Was Already Holder of QA Program 0524 & That Responsibilty of Terminating QA Program 0420 Was That of RTI
ML20237A316
Person / Time
Site: 07100420, 07100524
Issue date: 08/05/1998
From: Matthew Smith
External (Affiliation Not Assigned)
To: Eng P
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
References
NUDOCS 9808130268
Download: ML20237A316 (1)


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, August 5,1998 Patricia L. Eng, Chief Transportation and Storage Inspection Section Spent Fuel Project Office Oflice ofNuclear Material Safety and Safeguards

' U. S. Nuclear Regulatory Commission Washington, DC 20555-0001

Reference:

Letter dated July 10,1998, to Mr. Marcus V. Moore, SteriGenics International, regarding Quality Assurance Program Approval No. 0420

Dear Ms. Eng:

Mr. Moore forwarded your letter to me. As you noted, the corporate name listed on the above-referenced approval is Process Technology, North Jersey, although the address is the same as the SteriGenics International facility in Rockaway, NJ.

In August 1996, SteriGenics acquired certain assets of RTI, Inc., the owner of the Rockaway facility and parent company of Process Technology. With that acquisition, the radioactive material licernes that had been held by the RTI facilities were terminated and new licenses issued to SteriGenics for irradiation operations at those facilities. However, SteriGenics was already the holder of QA Program Approval No. 0524, which is issued to the corporation and valid for all locations. Because use of the transport containers is covered under the SteriGenics QA program, it was not necessary to transfer the RTl i

program approval to SteriGenics.

It would have been the responsibility of RTI to terminate their QA Program Approval No. 0420. However, from your correspondence, I assume that this has not been done.

Further questions on this program approval should be addressed to RTI at Jim Caylor, Controller RTI, Inc.

P. O. Box 3048 Sunland Park,NM 88063 I apologize for any confusion that SteriGenics may have created over this issue. IfI can be of any assistance in resolving matters, please let me know.

Sincerely, dark A. Smith, CHP Director, Tecl.nical Senices cc:

Marcus Moore, SteriGenics Don Currie, SteriGenics y

p}o Pat Adams, SteriGenics Jim Caylor RTI I

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