ML20247G218

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Responds to Emergency Planning Insp on 890508-12,per N Terc 890515 Telcon Request.One Hundred & Ten Emergency Plans & Procedures Changed.Thirteen Instances Discussed in Encl
ML20247G218
Person / Time
Site: Fort Calhoun Omaha Public Power District icon.png
Issue date: 05/19/1989
From: Morris K
OMAHA PUBLIC POWER DISTRICT
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
LIC-89-445, NUDOCS 8905300331
Download: ML20247G218 (3)


Text

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1 Omaha Public Power District l

1623 Harney Omaha, Nebraska 68102 2247 402/536 4000

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LIC-89-445 May 19, 1989 I

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U.S. Nuclear Regulatory Commission ATTN:

Document Control Desk Mail Stop P1-137 Washington, D.C.

20555

Reference:

Docket No. 50-285 Gentlemen:

SUBJECT:

Emergency Planning Inspection Conducted May 8-12, 1989 During the Emergency Planning Inspection conducted by Mr. N. Terc at Fort Calhoun Station on May 8-12, 1989, data supporting compliance to 10 CFR 50.54(q) was provided to Mr. Nemen Terc.

Initially, this data appeared to indicate that thirteen (13) submittals exceeded the 30 day limit specified in 10 CFR 50.54(q) for submittal of changes in approved emergency plans which do not decrease plan effectiveness. During the exit meeting Mr. Terc stated he would evaluate additional information provided by Omaha Public Power District supporting the position that compliance to 10 CFR 50.53(q) had been maintained.

On May 15, 1989, during a telephone conference call between Mr. Terc and Omaha Public Power District personnel, Mr. F. Franco provided information that 110 procedure changes were made to the Radiological Emeraency Response Plan and Emeraency Plan Imolementina Procedures during the period of February 1,1988 through April 30, 1989.

Each of these changed the technical and procedural content resulting in a revision to the procedure being issued. This is indicated by a numerical increase of one in the new revision issued.

In each of these instances, the change was submitted to the NRC within the 30 day time limit.

Fort Calhoun Station Procedures (Standing Order G-30:

"Setpoint/

Procedure Changes and Generation") allow the procedure clerk to correct titles, spelling or typographical errors without requiring a procedure revision change.

The 13 examples of overdue changes referenced by Mr. Terc were all of this type and none are changes subject to 10 CFR 50.54(q) requirements.

The enclosure presents a review as requested by Mr. Terc of the 13 instances discussed.

In each case, the 30 day procedure revision submittal L

time to the NRC was clearly met with subsequent correction pages forwarded for eliminating typographical and spelling errors.

8905300331 890519 i

PDR ADOCK 05000285 l

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U.S.- Nucle'ar Reg'ulatory Commission-

'LIC-89-445

'Page.Two.

If ' addit'ional information is needed to explain the full process of procedural.

-changes, Mr. Terc should. contact F. F. Franco,. Manager - Radiological Services (402) 536-4833.

Sincerely,-

dB 4+

K.'J.l Morris

~a Division Manager Nuclear Operations' KJM/rh Enclosure c:

LeBoeuf, Lamb, Leiby & MacRae Mr. R. D. Martin, Regional Administrator, Region. IV Mr. P. D. Milano, NRC Project Manager Mr. P. H. Harrell, NRC Senior Resident Inspector Mr. N. M. Terc, Emergency Planning Inspector, Region IV -

t Emergency Preparedness Procedure Changes with Follow-up Typographical Corrections Date Follow-up RERP Revision Date Date Mailed Days Typo Sheet SE110n No.

Implemented to NRC Elaosed*

Sent to NRC 0

6 9/30/88 10/21/88 21 11/14/88 L

5 11/19/88 12/14/88 25 2/3/89 Date Follow-up EPIP Revision Date Date Mailed Days Typo Sheet Section No.

Implemented

__to NRC El ao sed

  • Sent to NRC l

RR-21 6

2/11/88 3/7/88 25 6/7/88 E0F-6 12 4/21/88 5/18/88 27 6/7/88 EOF-2 4

5/9/88 6/7/88 29 6/27/88 RR-10 8

4/25/88 5/23/88 28 6/20/88 EOF-17 6

5/9/88 6/7/88 29 6/27/88 OSC-14 12 6/21/88 7/7/88 16 8/15/88 OSC-15 8

6/21/88 7/7/88 16 4/10/89 E0F-6 13 6/30/88 7/28/88 28 8/31/88 RR-25 8

7/7/88 7/28/88 21 8/31/88

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OSC-1 14 9/24/88 9/30/88 06 12/2/88 4/10/89 l

  • Number of days from implementation to mailing of the procedure to NRC.

In each instance the 30 day requirement of 10 CFR 50.54(q) was met.

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