ML20237L182

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Advises That FEMA Should Be Consulted for Guidance Re Interpretation of 10CFR50,App E to Ensure That Extent of Participation Consistent W/That Required at Other Sites Prior to Licensing
ML20237L182
Person / Time
Site: Seabrook  NextEra Energy icon.png
Issue date: 04/29/1986
From: Lazarus W
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
To: Eric Thomas
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
Shared Package
ML20237L120 List:
References
FOIA-87-346 NUDOCS 8709080258
Download: ML20237L182 (1)


Text

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$31 PA92 AVENut I

MINS OF P2U$$1 A, PENNSYLV ANI A 19404 APR 2 91986 MEMORANDUM FOR: Edward A. Thomas, Division Chief Material and Technological Hazards, FEMA RI FROM: William J. Lazarus, Acting Chief Emergency Preparedness Section, Division of Radiation Safety and Safeguards, Region I

SUBJECT:

CLARIFICATION OF REQUIREMENT FOR INGESTION EXPOSURE PATHWAY PARTICIPATION IN EMERGENCY EXERCISES t

You have requested that the NRC provide an interpretation of the 10 CFR 50 Appendix E requirement concerning the extent of participation by states within the ingestion exposure pathway EPZ in an exercise prior to issuance of an operating license.

Based on prior discussions between NRC and FEMA headquarters, it has been i agreed that this issue is primarily an offsite matter. Therefore, FEMA Headquarters should be consulted for guidance to ensure that the extent of participation for Seabrook is consistent with that required at other sites prior to licensing.

If you have any further questions on this issue, please contact me at (215) 337-5207.

l

~

W li . rus, Acting Chief l Emerg ncy Preparedness Section  !

Division of Radiation Safety l and Safeguards i  !

cc: R. Bellamy, RI  !

W. Thomas, RI l D. Matthews, IE/H I i

G709080250 870901 PDR FOIA I CONNORB7-346 PDR 4

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