ML23017A063

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02-27-2023 Letter to J. Semancik Re Connecticut Proposed Regulations to 10 CFR Parts 19, 20, 30, 31, 32, 33, 34, 35, 36, 37, 39, 40, 70, 71,150
ML23017A063
Person / Time
Issue date: 02/27/2023
From: Bethany Cecere
NRC/NMSS/DMSST/ASPB
To: Semancik J
State of CT, Department of Energy and Environmental Protection
References
Download: ML23017A063 (10)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 27, 2023 Jeffrey Semancik, Director Radiation Division Bureau of Air Management Connecticut Department of Energy and Environmental Protection 79 Elm Street Hartford, CT 06106-5127

Dear Jeffrey Semancik:

We have reviewed the proposed revisions to the Connecticut regulations Sections 22a-153-1 through 22a-153-199, received by our office on November 22, 2022. These regulations were reviewed by comparison to the equivalent U.S. Nuclear Regulatory Commission (NRC) rules in 10 CFR 19, 20, 30, 31, 32, 33, 34, 35, 36, 37, 39, 40, 70, 71, and 150 as identified in the enclosed State Regulation Status (SRS) Data Sheet. We discussed our review of the regulations with members of your staff on February 23, 2023.

As a result of our review, we have 14 comments that have been identified in the enclosure.

Please note that we have limited our review to regulations required for compatibility and/or health and safety. Under our current procedure, a finding that the Connecticut regulations meet the compatibility and health and safety categories of the equivalent NRC regulation may only be made based on a review of the final Connecticut regulations. However, we have determined that if your proposed regulations were adopted, incorporating our comments and without other significant change, they would meet the compatibility and health and safety categories established in the Office of Nuclear Material Safety and Safeguards (NMSS) Procedure SA-200, Compatibility Categories and Health and Safety Identification for NRC Regulations and Other Program Elements.

We request that when the proposed regulations are adopted and published as final regulations, a copy of the as published regulations be provided to us for review. As requested in NMSS Procedure SA-201, Review of State Regulatory Requirements, please highlight the final changes, and provide a copy to Division of Materials Safety, Security, State, and Tribal Programs, NMSS.

The SRS Data Sheet summarizes our knowledge of the status of other Connecticut regulations, as indicated. Please let us know if you note any inaccuracies, or have any comments on the information contained in the SRS Data Sheet. This letter, including the SRS Data Sheet, is posted on the NMSS State Communication Portal: https://scp.nrc.gov/rulemaking.html.

J. Semancik If you have any questions regarding the comments, the compatibility and health and safety categories, or any of the NRC regulations used in the review, please contact Michelle Beardsley State Regulation Review Coordinator, at 301-415-0275 (Michelle.Beardsley@nrc.gov) or Sherrie Flaherty at 301-415-7288 (Sherrie.Flaherty@nrc.gov).

Sincerely, Signed by Cecere, Bethany on 02/27/23 Bethany K. Cecere, Acting Chief State Agreement and Liaison Programs Branch Division of Materials Safety, Security, State, and Tribal Programs Office of Nuclear Material Safety and Safeguards

Enclosures:

1. Compatibility Comments
2. Connecticut SRS Data Sheet

ML22335A398 pkg and ML23017A063 letter OFFICE NMSS/MSST NMSS/MSST OGC NMSS/MSST MBeardsley JScro NLO via NAME SFlaherty BCecere email DATE 01/09/2023 01/09/2023 02/24/2023 02/27/2023 COMPATIBILITY COMMENTS ON CONNECTICUT PROPOSED REGULATIONS STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS 1 Various NA NA NA General Comments a) The proposed regulations state, With the exception of 10 CFR 30.4, and in the definition of Special Nuclear Material in 10 CFR 20.1003, a reference to NRC or Commission means the Connecticut Department of Energy and Environmental Protection;. This provision omits applicable references to 10 CFR parts 70.10, 70.19(a)(1),

70.19(c)(3) and 40.4.

b) The proposed regulations state, In 10 CFR 30.18(d), 30.32(g),

31.5(b)(1)(ii), 31.5(c)(3)(ii),

31.5(c)(8)(i), 31.6, 31.7(a),

31.10(a), 31.10(b)(1), 31.12(c)(4),

40.13(c)(10), 40.22(e), 40.25(b),

40.25(d)(3), 40.54, 40.55(c),

(c)(1), (d)(1)(ii), (d)(2) and (d)(3),

where a reference is made to an Agreement State, it means an Agreement State or the NRC.

This provision omits applicable references to 10 CFR sections 32.13, 32.51(c), 32.56, 32.59, 32.72(b)(5)(ii).

c) The Applicability provisions in multiple subsections are overly broad and do not account for areas of exclusive NRC jurisdiction. Connecticut should either delete these subsections or revise to be more specific.

2 Sec 22a- 10 CFR 20, 30, NA A, B Definitions:

153-2(b) 40, and 71 In Section 22a-153-2(b):

a) certain definitions refer back to

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS NRC regulations, e.g., ALARA, Agreement State, Background radiation. These are duplicative and could cause future conflicts and confusion. Connecticut should delete duplicative provisions.

b) Connecticut uses the term "registrant" in several definitions ,

but does not define that term.

Connecticut needs to either change all instances of "registrant," "registered," and "unregistered" to "licensee,"

"licensed" and "unlicensed" or clarify and define what, if any, differences there are between the two terms.

c) Connecticut should delete the definition of unrestricted use since it incorporates by reference the definition of "unrestricted area." This creates duplication and confusion. Also the first part of the definition that states, "may be used by individual for any purpose without limits or controls" is too broad in scope.

3 22a-153-4 NA NA NA Exemptions Section 22a-153-4(f)(B) states, The production, transportation, storage, use and disposal of naturally occurring radioactive materials of equivalent specific radioactivity not exceeding that of natural potassium (857 picocurie/gram or 31.72 becquerel /gram; NCRP Report No.

160, 2009). This exemption does not appear in NRC regulations.

Connecticut should either delete this exemption or submit a justification and analysis for a compatibility

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS review.

4 22a-153-30 10 CFR 30 NA Various Rules of general applicability to domestic licensing of byproduct material In the table incorporating 10 CFR part 30 by reference, it states, In 10 CFR 30.10(b), the reference to 10 CFR 2 relating to deliberate misconduct is replaced with Section 22a-158c of the Connecticut General Statutes.

Connecticut omits a reference to 22a-6b.

Please either clarify why this section is omitted or add it to the statement in the table as indicated above.

5 22a-153-35 35.65 (a)(4) NA D Authorization for calibration, (c)(1) transmission, and reference sources Connecticuts regulations for the maximum possession limit of radium 226 is 100 µCi. 10 CFR 35.65(a)(4) states that materials with a half-life greater than 120 days has a maximum amount allowed of 1000 times quantity in appendix B of part

30. For radium the maximum quantity allowed would be 10 µCi (.01 x 1000).

Connecticuts proposed proposed maximum allowable quantity possessed of radium 226 conflicts with the allowable quantity in 10 CFR Appendix B.

Connecticut needs to change the maximum allowable possession limit for radium 226 to 10 µCi in order to not conflict with 10 CFR 35.65 (a)(4).

6 22a-153-37 37.5 NA C Definition: Access Control

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS Connecticut omits a defintion for access control.

Connecticut needs to submit a definition for access control to meet the Compatibility Category C designation assigned to 10 CFR 37.5 Definition of Access Control.

7 22a-153-70 70.60 NA NRC Applicability Connecticut incorporates 10 CFR 70.60 by reference This provision is designated as Compatibility Category NRC and should not be adopted by the state.

Connecticut needs to add 70.60 to the list of excluded parts to meet the Compatibility Category NRC designation assigned to 10 CFR 70.60.

8 22a-153-70 10 CFR 70 NA NA Domestic licensing of special nuclear material Connecticut lists 10 CFR parts 70.53 and 70.54 in the regulations that are excepted from incorporation by reference, however those parts do not exist.

Connecticut needs to delete those provisions from their list of excepted regulations.

9 22a-153-71 71.101 (a), (b) & NA C Quality assurance requirements (c) (1)

Connecticut incorporates 10 CFR 71.101 by reference, however, the licensees quality assurance programs (QAP) should be submitted to, and reviewed by the state agency

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS and not the NRC.

Connecticut needs to add a provision stating that the licensees QAPs in 10 CFR 71.101 need to be submitted to their state agency.

Connecticut needs to make the change indicated above to meet the Compatibility Categoy C designation assigned to 10 CFR 71.101.

10 22a-153-150 10 CFR 150 NA Various Exemptions and continued regulatory authority in Agreement States and in offshore waters under Section 274 In the Table of regulations incorporated by reference for 10 CFR 150, Connecticut lists 150.1, 150.2, 150.3, 150.11, and 150.20. Please confirm that these are the only parts being incorporated by reference, or list those parts that are excepted from incorporation by reference as is done for the other parts.

11 22a-153- 10 CFR 150 NA Various Licenses of Byproduct, Source, 150(c)(1)(E) and Special Nuclear Material in (i) Quantities Not Sufficient to Form a Critical Mass Section 22a-153-150(c)(1)(E)(i) states, Specifically licensed by the commissioner or by the NRC to receive such material; or.

Connecticut needs to add, or another Agreement State to this provision.

12 22a-153- Various NA Various Exempt quantities and items 7(c)(1) containing radioactive material Sec 22a-153-7(c)(1) states, The

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS following quantities and items containing radioactive material are exempt from the requirements of section 22a-153-7 of the Regulations of Connecticut State Agencies. The reference to section 22a-153-7 in its entirety is broad.

Connecticut needs to specify which subsection in 22a-153-7 the quantities and items of radioactive materials are being exempted from.

13 Section 22a- 10 CFR 150 NA Various Licenses of Naturally Occurring 153- and Accelerator-Produced 150(d)(1) Radioactive Material.

Since Connecticut defines byproduct material to include NORM and NARM this section is duplicative and could create confusion. In addition, this section uses the term "Licensing State," without defining it. It is not clear what this term means or whether it is equivalent to Agreement State.

Connecticut should delete this section.

14 -- 61.55 NA B Waste classification 61.56 H&S Waste characteristics 61.57 H&S Labeling Connecticut did not submit equivalent regulations for 10 CFR 61.55, 61.56, and 61.57.

Connecticut needs to submit the above to meet the Compatibility Category B designation assigned to 10 CFR 61.55, and the Compatibility Category H&S designation assigned to 10 CFR 61.56, and 61.57.

STATE REGULATION STATUS State: Connecticut Tracking Ticket Number: 23-07 Date: February 27, 2023 (Amendments reviewed marked by asterisk)

RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Package Notes State Adoption Letter