ML24201A201
ML24201A201 | |
Person / Time | |
---|---|
Issue date: | 09/16/2024 |
From: | Adelaide Giantelli NRC/NMSS/DMSST/ASPB |
To: | Wendtland K State of WY, Dept of Environmental Quality |
References | |
Download: ML24201A201 (1) | |
Text
UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 Kyle Wendtland, Administrator Wyoming Department of Environmental Quality Land Quality Division 200 West 17th Street Cheyenne, WY 82002
SUBJECT:
WYOMING PROPOSED SOURCE MATERIALS PROGRAM REGULATIONS
Dear Kyle Wendtland:
We have reviewed the proposed Wyoming Source Materials Program regulations received by our office on May 24, 2024. These regulations were reviewed by comparison to the equivalent U.S. Nuclear Regulatory Commission (NRC) rules in Title 10 of the Code of Federal Regulations (10 CFR). We discussed our review of the regulations with Brandi OBrien on July 11, 2024.
As a result of our review, we have 18 comments and 6 editorial suggestions that have been identified in the Enclosure 1. 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 Wyoming 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 Wyoming 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 in Enclosure 2 summarizes our knowledge of the status of other Wyoming 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: https://www.nrc.gov/agreement-states. September 16, 2024 K. Wendtland 2 If you have any questions regarding the review, the compatibility and health and safety categories, or any of the NRC regulations used in the review, please contact my staff at AgreementStateRegs.Resource@nrc.gov.
Sincerely, Adelaide S. Giantelli, 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. Wyoming SRS Data Sheet Signed by Giantelli, Adelaide on 09/16/24
COMPATIBILITY COMMENTS ON WYOMINGS PROPOSED REGULATIONS
STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS
1 Chapter 1 20.1003 A Definitions - Background Radiation Section 5 In the definition of background radiation, the language should state that [b]ackground radiation from source, byproduct, or special nuclear materials regulated by the Commission [or the Department.]
Wyoming has not included the or the Department language in the definition for background radiation in Chapter 1, Section 5(o)(iv).
Therefore, Wyoming needs to add or the Department language to account for Wyomings limited authority to regulate special nuclear material and limited byproduct authority.
Definitions - Sanitary sewerage
In the definition of sanitary sewerage the language should state owned or operated by the licensee.
In Wyomings definition of sanitary sewerage in Chapter 1, Section 5(cx) the language states owned and operated by the licensee.
Therefore, Wyoming needs to revise the language in the definition of sanitary sewerage to owned or operated by the licensee.
2 Chapter 1 20.1004(b) A Units of radiation dose Section 6 &
Chapter 3 Wyoming incorporates by reference the Section 4 requirement in 20.1004(b) in Chapter 3 Section 4 and adopts the same requirement in Chapter 1 Section 6(c).
To correct this duplication, Wyoming needs to do one of the following:
- 1. Delete paragraph (c) in Chapter 1 Section 6, including Table 1, or
Enclosure 1 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS
- 2. Include 20.1004(b) in the list of requirements excluded from incorporation by reference in Chapter 3 Section 4(b).
Note: If Option 2 is selected, Wyoming will additionally need to add language to reconcile the reference in 20.1004(c) [which is also incorporated by reference] to 20.1004(b).
Wyoming needs to make this change to avoid creating duplication and conflict in its rules.
3 Chapter 1 40.10 C Deliberate misconduct Section 9 Wyoming needs to revise the deliberate Chapter 4 misconduct requirement in Chapter 1, Section Section 4 9:
- 1. Revise paragraph (a) to read Any licensee, applicant for a license, employee of a licensee or applicant; or any contractor (including a supplier or consultant), subcontractor, employee of a contractor or subcontractor of any licensee or applicant for a license, who knowingly provides to any licensee, applicant, contractor, or subcontractor, any components, equipment, materials, or other goods or services that relate to a licensee's or applicant's activities in this part, may not:
- 2. In subparagraph (a)(i), replace the term this Chapter with the term these rules.
- 3. Paragraph (a)(ii) should state Deliberately submit to the Department, a licensee, an applicant, or a licensee's or applicant's contractor or subcontractor, information that the person submitting the information knows to be incomplete or inaccurate in some respect material to the Department.
- 4. Redesignate the current paragraph (a)(ii) as paragraph (b). Subparagraphs (a)(ii)(A)&(B) would then be redesignated to (b)(i)&(ii), respectively.
- 5. Redesignate the current paragraph (b)
2 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS as paragraph (c).
- 6. Delete the current paragraph (c).
Additionally, Wyoming also adopts the deliberate misconduct requirements in Chapter 4, Section 4. Wyoming needs to delete one of these sections to avoid duplication.
Wyoming needs to make these changes to meet the Compatibility Category C designation of 10 CFR 40.10.
4 Chapter 1 40.11 B Persons using source material under Section certain DOE and NRC contracts 10(b)
In Chapter 1, Section 10(b) and in Ch 4 Sec Chapter 4 6(g), Wyoming has duplicative language to Section 6(g) address 10 CFR 40.11. To avoid duplication and keep all regulatory exemptions together in the same section, please delete Chapter 1, Section 10(b).
5 Chapter 1 40.12(a) B Carriers Section 10(c) Previously, the NRC provided a comment on Chapter 1, Section 10, stating, Unless this is Chapter 4 covered in another chapter, Wyoming needs to Section 6(f) incorporate the exemption for carriers in 10 CFR 40.12(a) to meet the Compatibility B designation.
In response, Wyoming added Chapter 1, Section 10(c), which states The Department fully adopts and hereby incorporates by reference the exemption in 10 C.F.R. 40.12(a) for common and contract carriers, freight forwarders, warehousemen, and the U.S.
Postal Service.
However, Wyoming already has a compatible regulation on the exemption in 40.12(a) in Chapter 4, Section 6(f).
To avoid duplication, please delete Chapter 1, Section 10(c).
3 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS
6 Chapter 1 40.13 Unimportant quantities of source material Section 10(d) Previously, the NRC provided a comment on Chapter 1, Section 10, stating, Unless this is Chapter 4 covered in another chapter, Wyoming needs to Section 6(a)- incorporate requirements for unimportant (d) quantities of source material in 10 CFR 40.13, with the exclusion of 40.13(c)(5)(iv), to meet the Compatibility B designation.
In response, Wyoming added Chapter 1, Section 10(d), which states The Department fully adopts and hereby incorporates by reference the requirements for unimportant quantities of source material in 10 C.F.R. 40.13, along with the exclusion of 40.13(c)(5)(iv).
However, Wyoming already has regulations equivalent to 10 CFR 40.13(a)-(d) (with the appropriate exclusion of 40.13(c)(5)(iv) in Chapter 4, Section 6(a)-(d).
To avoid duplication, please delete Chapter 1, Section 10(d).
7 Chapter 3 Part 20 NA 10 CFR Part 30 is not applicable to Wyomings Section 4(e) Source Material Program.
Revise paragraph (e) of Chapter 3 Section 4 to add 10 CFR Part 30 to the list of federal rules that are not adopted under the incorporation of 10 CFR Part 20.
8 Chapter 3 Part 20 NA Reconciliation of Incorporation by Section 4 Reference
The NRC reviewed the Parts of 10 CFR that Wyoming proposes to incorporate by reference and there are multiple instances where additional reconciliation language is needed to ensure that areas outside of Wyomings authority are not inappropriately incorporated, and that reference to NRC or NRC regulations are not inadvertently read out of the regulatory text, as incorporated. This additional reconciliation language is also needed to provide additional clarity and avoid confusion.
4 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS
To address this issue, please add new paragraph(s) in Chapter 3, Section 4 stating the following:
- 1. Reports and notifications referenced in 10 CFR 20.2201-20.2207 (except as excluded in paragraph (b) of this Section), shall be directed to the Department [Note: consider providing contact information here].
- 2. In 10 CFR 20.1201, references to 20.1206 are not incorporated by reference.
- 3. In 10 CFR 20.1401(a) a reference to this subpart means 10 CFR 20.1401-1405.
- 4. In 10 CFR 20.1401(a) a reference to facilities licensed under part 40 means facilities licensed under these rules.
- 5. In 10 CFR 20.1403(d) and 20.1404(a)(4) the reference to 40.42(d) means Chapter 4 Section 16(a)-(c) of these Rules.
- 6. In 10 CFR 20.1501(b) the phrase §§ 30.35(g), 40.36(f), 50.75(g), 70.25(g),
or 72.30(d) means [insert applicable section of Chapter 6].
- 7. In 20.1906 references to § 71 and part 71 of this chapter mean the specified section in 10 CFR 71, as incorporated by reference in Chapter 9 of these rules.
- 8. The notifications required by 10 CFR 20.1906(d) and 20.2201(a)(2) must be made to [insert department info].
- 9. In 10 CFR 20.2108 §§ 30.51, 40.61, 70.51, and 72.80 means 10 CFR 40.61, as incorporated by reference in Chapter 1 Section 11(c) of these rules.
10.In 10 CFR 20.2205, the reference to 20.2204 is not incorporated.
11.References regarding Parts 30, 50, 52, 54, 60, 61, 63, and 72 and any sections within those parts, are not incorporated by reference.
Wyoming needs to make these changes to
5 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS reconcile differences created due to incorporation by reference.
Additionally, we recommend that Wyoming add 10 CFR 20.1403(c)(2) to the list of regulations not incorporated by reference as this regulation is specific to Part 30, which is outside the scope of Wyomings program.
9 Chapter 4 Part 40 NA Reconciliation of Incorporation by Section 3 Reference
The NRC reviewed the Parts of 10 CFR that Wyoming proposes to incorporate by reference and there are multiple instances where additional reconciliation language is needed to ensure that areas outside of Wyomings authority are not inappropriately incorporated, and that reference to NRC or NRC regulations are not inadvertently read out of the regulatory text, as incorporated. This additional reconciliation language is also needed to provide additional clarity and avoid confusion.
To address this issue, please add new paragraph (d) in Chapter 3, Section 3 stating:
To reconcile differences due to incorporation of 10 CFR Part 40 by reference in paragraph (a), the following substitutions and clarifications must be made:
- 1. A reference to the Act or the act means [appropriate State Statutes],
except in 10 CFR 40.51(b)(2).
- 2. A reference to NRC, Commission, or Atomic Energy Commission means the Department, except in 10 CFR 40.51(b)(2).
- 3. A reference to Commission or an Agreement State; Commission or with an Agreement State, Commission or the licensing agency of an Agreement State means the Department, NRC, or Agreement State.
- 4. Communications and reports referenced in 10 CFR 40.22(b)(4) and (c) and 40.55(d)(1), shall be directed to the Department.
6 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS
- 5. In 40.22(a), the word Federal is not incorporated.
- 6. In 40.22(b)(3), reference to §§ 40.1 through 40.10, 40.41(a) through (e),
40.46, 40.51, 40.56, 40.60 through 40.63, 40.71, and 40.81 is substituted with 10 CFR 40.41(a)-(c), 40.51, and 40.61; Chapter 2 Section 3; and Chapter 4 Sections 2(b), 4, 8(e), 10(c),
and 14.
- 7. In 40.22(b)(5) a reference to part 110 of this chapter means 10 CFR part 110.
- 8. In 40.22(d), a reference to parts 19, 20, and 21 of this chapter means Chapters 3 and 5 of these rules.
- 9. In 40.51(b)(3) a reference to regulations in this part means regulations in this Chapter and Chapter 6.
10.In 40.54(a) a reference to § 40.32 means Section 8 of this Chapter.
11.In 40.55(d)(2) a reference to Agreement State means NRC or Agreement State.
Note: Item 5 above may differ depending on how Wyoming resolves the comments regarding the duplication of 10 CFR 40.10 and 40.62. Specifically, Chapter 2 Section 3 may become Chapter 4 Section 8(j) [this is the equivalent to 40.62] and Chapter 4 Section 4 may become Chapter 1 Section 9 [this is the equivalent to 40.10].
Wyoming needs to make these changes to reconcile differences created due to incorporation by reference.
10 Chapter 4 Part 150 NA Reconciliation of Incorporation by Section 3 Reference
The NRC reviewed the Parts of 10 CFR that Wyoming proposes to incorporate by reference and there are multiple instances where additional reconciliation language is needed to ensure that areas outside of Wyomings
7 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS authority are not inappropriately incorporated, and that reference to NRC or NRC regulations are not inadvertently read out of the regulatory text, as incorporated. This additional reconciliation language is also needed to provide additional clarity and avoid confusion.
To address this issue, please add new paragraph (e) in Chapter 4, Section 3 stating:
To reconcile differences due to incorporation of 10 CFR Part 150.20 by reference in paragraph (c), the following substitutions and clarifications must be made:
- 1. Where the words:
- a. non-agreement states, areas of exclusive federal jurisdiction within agreement states, or offshore waters are used in (a)(1)(i), (ii), (iii), (b), (b)(3), and (b)(4), substitute the words the State of Wyoming,
- b. agreement state license are used, substitute agreement state license or Nuclear Regulatory Commission license,
- c. license issued by an agreement state are used, substitute license issued by an agreement state or the Nuclear Regulatory Commission, and
- d. license from an agreement state are used, substitute license from an agreement state or the Nuclear Regulatory Commission.
- 2. In 150.20(b) reference to the Act means [appropriate State Statutes].
- 3. A reference to NRC, Commission, Nuclear Regulatory Commission, United States Nuclear Regulatory Commission or Administrator of the appropriate Regional Office means the Department.
- 4. Notifications and reports in 10 CFR 150.20 concerning regulations adopted pursuant to section [applicable State
8 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS statute] and applications filed in response to such regulations shall be addressed to the [State agency address].
- 5. Instructions in 10 CFR 150.20 to use forms of the NRC means to use forms of the Department, which will be available on [State website] or available upon request from the [State agency address].
Wyoming needs to make these changes to reconcile differences created due to incorporation by reference.
11 Chapter 4 40.41(c) C Terms and conditions of licenses Section 8 Wyoming only partially adopts 10 CFR 40.41(c). Specifically, Section 8(f) of Chapter 4 only contains the first sentence of 10 CFR 40.41(c). Section 8(f) should be revised to read as follows:
Each licensee pursuant to these rules shall confine use and possession of licensed material to the locations and purposes authorized in the license. Except as otherwise provided in the license, a license issued pursuant to these rules shall carry with it the right to receive, possess, and use source or byproduct material. Preparation for shipment and transport of source or byproduct material shall be in accordance with the provisions of Chapter 9 of these rules.
Wyoming needs to make these changes to meet the Compatibility Category C designation of 10 CFR 40.41(c).
12 Chapter 4 40.62 D Inspections Section 8 Chapter 2 In Chapter 4 Section 8(j), Wyoming adopts Section 3 language similar to 10 CFR 40.62. However, Wyoming also adopts 10 CFR 40.62 in Chapter 2 Section 3 Inspections and Testing.
Wyoming needs to delete one of the
9 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS duplicative requirements.
Note - The language in Chapter 4 Section 8(j) is slightly different than that in Chapter 2 Section 3(a) and Wyoming may incorporate some or all of that language into Chapter 2 Section 3.
13 Chapter 4 NA NA Paragraphs (g) and (h) of Chapter 4 Section 9 Section 9 are specific to uranium recovery. Wyoming should remove these paragraphs since they are not relevant to the source material program to avoid creating conflict or confusion.
14 Chapter 4 40.42(g)(5) H&S Expiration and termination of licenses and Section 17 decommissioning of sites and separate buildings or outdoor areas
Wyoming has adopted the requirement of 40.42(g)(5) in Chapter 4 Section 17(a).
Additionally, Wyoming incorporates by reference 40.42(g)(5). Wyoming needs to fix this duplication by deleting 40.42(g)(5) from the list of requirements incorporated by reference in Chapter 4 Section 3(a).
15 Chapter 5 Part 19 NA Reconciliation of Incorporation by Section 3 Reference
The NRC reviewed the Parts of 10 CFR that Wyoming proposes to incorporate by reference and there are multiple instances where additional reconciliation language is needed to ensure that areas outside of Wyomings authority are not inappropriately incorporated, and that reference to NRC or NRC regulations are not inadvertently read out of the regulatory text, as incorporated. This additional reconciliation language is also needed to provide additional clarity and avoid confusion.
To address this issue, please add new paragraphs in Chapter 5, Section 3 stating:
- 1. The statement required by 10 CFR 19.13 is revised to This report is furnished to you under the provisions of
10 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS Chapter 5 of Wyomings Rare Earth Program. You should preserve this report for further reference.
- 2. In 10 CFR 19.13(c)(1)(i) references to 20.1502 and 20.2106 mean 10 CFR 20.1502 and 10 CFR 20.2106, as incorporated by reference in Chapter 3 of these rules.
- 3. In 10 CFR 19.13(d) a reference to 20.2202, 20.2203 or 20.2204 of this chapter means 10 CFR 20.2202 and 20.2203, as incorporated by reference in Chapter 3 of these rules.
- 4. In 10 CFR 19.17(a) the complainant may obtain review of the determination by submitting a written statement of position to [State Departments Address].
5.In 10 CFR 19.20 the references to holder of a certificate of compliance issued under part 76 of this chapter are not incorporated by reference.
- 6. In 10 CFR 19.20 the reference to 19.2(a) means Section 2 of this Chapter.
- 7. In 10 CFR 19.20 the reference to this part or parts 30, 40, 50, 52, 54, 60, 61, 63, 70, 72, 76, or 150 of this chapter means these rules.
16 Chapter 6 20.1401-1405 NA Incorporation by Reference of 10 CFR Section 2 20.1401-1405
Chapter 6 Section 2(b), Wyoming states that Licenses shall comply with the requirements of 10 Code of Federal Regulations (C.F.R.)
Sections 20.1401-1405.
In Chapter 3, Section 4, Wyoming already incorporates by reference 20.1401 through 20.1405. To avoid duplications and enhance clarity, please revise Chapter 6, Section 2(b) as follows:
Licenses shall comply with the requirements of 10 Code of Federal Regulations (C.F.R.)
Sections 20.1401-1405, as incorporated by reference in Chapter 3, Section 4 of these
11 STATE SECTION NRC SECTION CATEGORY SUBJECT and COMMENTS rules.
17 Chapter 6 NA NA Reconciliation of Incorporation by Reference
Wyoming incorporates by reference 10 CFR 40.36 (d)(1)(ii) and (iii), 40.36(d)(2)(i)-(viii), and 40.36(f)(1)-(3). Wyoming needs to reconcile differences due to this incorporation by reference.
For instance, 40.36(d)(1)(iii) references paragraph (e) of this section however, Wyoming did not incorporate paragraph (e) by reference and would need to create a substitution to direct readers to the correct location.
Conversely, Wyoming may directly adopt the language from 10 CFR 40.36 (d)(1)(ii) and (iii),
40.36(d)(2)(i)-(viii), and 40.36(f)(1)-(3) substituting in the correct references.
18 Chapter 9 71.4 B Definitions Section 3
In paragraph (d)(ii) of Chapter 9 Section 3, Wyoming needs to correct the reference to 71.12 to 71.4. Paragraph (d)(ii) of Chapter 9 Section 3 states that the definitions of Certificate holder and Certificate of Compliance (CoC) are in 10 CFR 71.12.
Wyoming needs to correct this reference to 71.12 because the definitions for Certificate holder and Certificate of Compliance (CoC) are in 10 CFR. 71.4, not 10 CFR 71.12.
12 EDITORIAL SUGGESTIONS ON WYOMINGS PROPOSED REGULATIONS
STATE SECTION NRC SECTION SUBJECT and COMMENTS
1 Chapter 1 NA Definitions
Chapter 4, Pre-Licensing Construction Section 7 Wyoming should consider deleting the definition Commencement of Construction" and Chapter 4, Section 7, Pre-Licensing Construction. This section on Pre-licensing Construction has the corresponding definitions for Construction and Commencement of Construction are applicable only to uranium recovery activities. Wyoming already removed the definition of Construction consistent with NRCs previous editorial comment. Similarly, Wyoming should consider deleting the definition for Commencement of Construction and Chapter 4, Section 4.
Nonstochastic Effect In the definition of nonstochastic effect, the last sentence stating, deterministic effects are equivalent terms should be revised to state that deterministic effect is an equivalent term.
Wyoming should make this change to clarify that deterministic effect, as one term written in the singular tense, is an equivalent term for the purposes of these rules.
Person For clarity, in the definition of person Wyoming should consider replacing the term commission with association.
2 Chapter 1 Section 9 In a previous comment, the NRC suggested that Wyoming change the numbering of paragraph 9(a)(ii) to 9(c). This was a typo. Wyoming should change 9(c) back to 9(a)(ii).
3 Chapter 3 Part 20 Incorporation by Reference Section 4 Wyoming should consider not incorporating by reference the following part 20 requirements, as they are not applicable to Wyomings Agreement.
- 20.2008
- 20.2201(a)(2)(i)&(b)(2)(i)
- 20.2201(c)&(d)(1)
Chapter 3 20.2106(d) Privacy Protection
13 STATE SECTION NRC SECTION SUBJECT and COMMENTS Section 4 Wyoming incorporates by reference the Privacy protection requirement in 20.2106(d). The public law mentioned in 20.2106(d) is not applicable to State Agencies and therefore this requirement should not be adopted.
Wyoming needs to add 20.2106(d) to list of requirements that are not incorporated by reference in paragraph (b) of Chapter 3 Section 4.
4 Chapter 4 40.2a Coverage of inactive tailings sites Section 3
In Chapter 4 Section 3(a), Wyoming incorporates by reference 40.2a which is specific to Uranium Recovery. Wyoming should delete 40.2(a) from the list of requirements incorporated from reference in Chapter 4 Section 3(a).
5 Chapter 4 NA In Chapter 4 Section 8(e), consider revising the first sentence Section 8 as follows: No license or authorization to possess or utilize licensed material can be transferred Suggested revisions for clarity.
6 Chapter 5 NA In Section 3(b), the incorporation by reference of 10 CFR 19 is Section 3 not in numerical order. Specifically, 19.8 is after 19.11.
14 STATE REGULATION STATUS State: Wyoming Tracking Ticket Number: 24-26 Date: September 16, 2024
[Amendment(s) reviewed identified by a
- at the beginning of the equivalent NRC requirement.]
RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Notes State Adoption Letter Package
NA Wyoming Enabling Legislation NA Proposed Comments Wyoming House Bill HB0027 ML15225A439 9/28/2015 ML15225A433
Revised Proposed Comments ML15324A391 09/26/2016 ML15324A388
Revised Proposed Comments ML17319A925 02/28/2018 ML18032A380
Revised Proposed No Comments ML19004A444 01/23/2019 ML19004A436
Final Agreement ML18267A261 09/30/2018
Enclosure 2 RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Notes State Adoption Letter Package
NA Wyoming DEQ Regulations to 10 CFR Part 20 NA Proposed Comments Chapter 1: General Provisions ML16014A133 03/15/2016 Chapter 3: Radiation Protection Standards ML16014A131
Revised Proposed Comments ML16097A348 10/03/2016 ML16097A339
Final No Comments ML17319A925 02/18/2018 ML18032A380
NA Wyoming DEQ Regulations to 10 CFR Parts 19 NA Proposed Comments and 71 ML16095A093 07/25/2016 Chapter 1: General Provisions ML16095A091 Chapter 5: Notice, Instructions and Reports to Workers Final No Comments Chapter 9: Transportation of Licensed Material ML17319A925 02/18/2018 Chapter 10: Risk-Informed and Performance ML18032A380 Based Licensing and Inspection
NA Wyoming DEQ Regulations to 10 CFR Parts 40 NA Proposed Comments and 150 ML16194A168 10/13/2016 Chapter 1: General Provisions ML16194A048 Chapter 4: Licensing Requirements for Source and Byproduct Material Final No Comments Chapter 6: Financial Assurance ML17319A925 02/18/2018 Chapter 10: General Licenses ML18032A380
2018-2 Miscellaneous Corrections - 12/21/2021 ML19030B773 ML19030B770 This rulemaking does not contain Organizational Changes 01/30/2019 provisions applicable to Wyomings 10 CFR Parts 37, 40. 70 and 71 program.
2 RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Notes State Adoption Letter Package
2018-3 Miscellaneous Corrections 07/30/2022 Parts 1, 2, 34, 37, 50, 71, 73, and 140
2019-1 Miscellaneous Corrections 12/18/2022 Parts 2, 21, 37, 50, 52, 73, and 110
2019-2 Organizational Changes and Conforming 12/30/2022 Amendments Parts 1, 2, 37, 40, 50, 51, 52, 55, 71, 72, 73, 74, 100, 140, and 150
2020-1 Individual Monitoring Devices 06/16/2023 10 CFR Parts 34, 36, and 39
2020-2 Social Security Number Fraud Prevention 08/17/2023 10 CFR Parts 9 and 35
2020-3 Miscellaneous Corrections 11/16/2023 10 CFR Parts 1, 2, 19, 20, 21, 30, 34, 35, 40, 50, 51, 52, 60, 61, 62, 63, 70, 71, 72, 73, 74, 75, 76, 110, and 140
2021-1 Miscellaneous Corrections 09/08/2024 10 CFR Parts 2, 11, 20, 25, 32, 35, 37, 50, 52,55, 70, 72, 73, 95, and 110
2021-2 Miscellaneous Corrections 12/30/2024 10 CFR Parts 9, 37, 40, 50, 51, 52, 55, 71, 73, and 110
2022-1 Miscellaneous Corrections none Provisions are not required for 10 CFR 1, 2, 20, 30, 40, 50, 55, 70, 73, and 170 compatibility.
3 RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Notes State Adoption Letter Package
2022-2 Miscellaneous Corrections none Provisions are not required for 10 CFR Parts 20, 35, 50, 51, 52, 72, 73, 110, compatibility.
and 150
2023-1 Miscellaneous Corrections 09/25/2026 10 CFR PARTS 1, 2, 26, 32, 40, 50, 51, 52, 72, and 73
NA Legislation, Articles 15 and 21 NA ML21194A144 Comments 08/31/2021 ML21194A077
NA Proposed Legislation NA ML22364A006 No Comments 01/04/2023 ML22364A003
NA Final Legislation NA ML23059A393 No Comments 03/03/2023 ML23059A385
NA Wyoming DEQ Regulations to 10 CFR Parts 19 NA Proposed Comments and 20 ML23290A062 01/03/2024 Chapter 1: General Provisions ML23285A135 Chapter 3: Radiation Protection Standards Chapter 5: Notice, Instructions and Reports to Workers
NA Wyoming DEQ Regulations to Part 71 and Misc NA Proposed Comments Chapter 1: General Provisions ML23355A017 02/29/2024 Chapter 6: Financial Assurance ML23355A015 Chapter 9: Transportation of Licensed Material
4 RATS ID NRC Chronology Identification Date Due for Incoming Outgoing Notes State Adoption Letter Package
NA Wyoming DEQ Regulations to Part 40 and Misc.NA Proposed Comments Chapter 4: ML24060A151 05/08/2024 Chapter 7: ML24060A149 Chapter 8:
- NA Wyoming Proposed Source Materials NA Proposed Comments Program Regulations Chapters 1-9: ML24151A150 09/16/2024 ML24151A144
5
ML24201A201 OFFICE R-IV/DNMS/MIB NMSS/REFS/RRPB OGC/GCRPS NMSS/MSST/SMPB
/LCLSP/NLO NAME ABolger AB SSahle SS JScro JSAGiantelli AG DATE Sep 13, 2024 Sep 13, 2024 Sep 13, 2024 Sep 16, 2024