ML23191A262

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Public Comment Resolution for RIS 2014-06, Rev.1
ML23191A262
Person / Time
Issue date: 07/01/2023
From: Tyree C
NRC/NRR/DNRL/NLRP
To:
References
Download: ML23191A262 (4)


Text

Document for Public Comment Resolution RIS 2014-06 Rev.1 - Consideration of Current of Operating Issues and Licensing Actions in License Renewal Link to Document: ML22024A172 Comments on the subject draft regulatory issue summary are available electronically at the U.S. Nuclear Regulatory Commissions (NRCs) electronic Reading Room at http://www.nrc.gov/reading-rm/adams.html. From this page, the public can access the Agencywide Documents Access and Management System (ADAMS), which provides text and image files of the NRCs public documents. The NRC staff reproduced the comments verbatim and provided a response to each comment. Comments were received from the following individuals or groups:

Commenter Source RIS Section Comment Resolution Anonymous ML23067A074 General Comment I favor this rule should be reviewed and revised over the necessary comments and standard procedures in the legal correct form of action.

The RIS was written, reviewed, and revised based on NRC guidance and standards.

Anonymous ML23143A152 General Comment Here is some supplemental information for the prior comment regarding privacy as referenced here:

On May 22, 2007, OMB issued Memorandum M-07-16, Safeguarding Against and Responding to the Breach of Personally Identifiable Information, which required Federal agencies to publish a routine use for their systems of records specifically applying to the disclosure of information in connection with response and remedial efforts in the event of a breach of personally identifiable information. FWS published a notice in the Federal Register in 2008 to modify all FWS system of records by adding a routine use in their ROUTINE USES.

The RIS does not require the licensee to provide any personally identifiable information (PII) from any licensee. If PII is provided to the Nuclear Regulatory Commission by a licensee, there are policies and processes in place to protect it.

section to address the limited disclosure of records.

Anonymous ML23143A155 General Comment Here is some supplemental information for the prior comment regarding privacy as referenced here:

On May 22, 2007, OMB issued Memorandum M-07-16, Safeguarding Against and Responding to the Breach of Personally Identifiable Information, which required Federal agencies to publish a routine use for their systems of records specifically applying to the disclosure of information in connection with response and remedial efforts in the event of a breach of personally identifiable information. FWS published a notice in the Federal Register in 2008 to modify all FWS system of records by adding a routine use in their ROUTINE USES section to address the limited disclosure of records.

The RIS does not require the licensee to provide any personally identifiable information (PII) from any licensee. If PII is provided to the Nuclear Regulatory Commission by a licensee, there are policies and processes in place to protect it.

Anonymous ML23143A158 General Comment Here is some supplemental information for the prior comment regarding privacy as referenced here:

On May 22, 2007, OMB issued Memorandum M-07-16, Safeguarding Against and Responding to the Breach of Personally Identifiable Information, which required Federal agencies to publish a routine use for their systems of records specifically applying to the disclosure of information in connection with response and remedial efforts in the event of a breach of personally identifiable information. FWS published a notice in The RIS does not require the licensee to provide any personally identifiable information (PII) from any licensee. If PII is provided to the Nuclear Regulatory Commission by a licensee, there are policies and processes in place to protect it.

the Federal Register in 2008 to modify all FWS system of records by adding a routine use in their ROUTINE USES section to address the limited disclosure of records.

Anonymous ML23143A160 General Comment Here is some supplemental information for the prior comment regarding privacy as referenced here:

On May 22, 2007, OMB issued Memorandum M-07-16, Safeguarding Against and Responding to the Breach of Personally Identifiable Information, which required Federal agencies to publish a routine use for their systems of records specifically applying to the disclosure of information in connection with response and remedial efforts in the event of a breach of personally identifiable information. FWS published a notice in the Federal Register in 2008 to modify all FWS system of records by adding a routine use in their ROUTINE USES section to address the limited disclosure of records.

The RIS does not require the licensee to provide any personally identifiable information (PII) from any licensee. If PII is provided to the Nuclear Regulatory Commission by a licensee, there are policies and processes in place to protect it.

Anonymous ML23143A161 General Comment In light of the paperwork reduction Act I have prepared these artifacts; namely, to make an example of these criminals who generally place the protection of consumers at risk. State Farm casualty is a oxymoron business

-oxymoron, mostly because they are an automobile insurance company trying to commit crimes in the financial space (not their area of specialization), which is supposed to defraud automobile owners, The NRC follows and complies with the Paperwork Reduction Act.

The NRC does not regulate or have any interaction with State Farm, and the Sarbanes-Oxley Act does not have an influence on the Nuclear Regulatory Commissions regulatory functions.

now also they are defrauding real property taxes and the SEC?? So, I also have other questions, like why havent they been charged for gross negligence of property taxes, the Sarbanes-Oxley Rules like put their shareholders at risk to hide the Zucker Ponzi scheme?

Its the unit dummy, 144 of them valued at what? $20 million in soho??? Good luck with that liability.

Name Organization Initials Date Originator/Date Chris Tyree DNRL CST 6/1/2023 Branch Chief/Date Lauren Gibson DNRL LKG 6/1/2023