ML25021A284

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Email Dated 12-19-24 from Hbaldner (NAC) to Kbanovac (NRC) Related to Applicability of Amendments 5, 6, 7, 8, or 9, Revision 1. or Amendment 10 to Nuclear Power Plants
ML25021A284
Person / Time
Site: 07201015
Issue date: 12/19/2024
From: Baldner H
NAC International
To: Kristina Banovac
Storage and Transportation Licensing Branch
References
TAC 001028, EPID L-2023-LLA-0154
Download: ML25021A284 (1)


Text

From:

Heath Baldner To:

Kristina Banovac Cc:

Norma Garcia Santos; Nishka Devaser

Subject:

[External_Sender] RE: REQUEST re: NRC review of Revisions to NAC-UMS Amendment Nos. 5 through 9 Date:

Thursday, December 19, 2024 12:12:03 PM Attachments:

image001.png

Kris,
1. Please clarify which, if any, of the Amendment Nos. 5 through 9 are not currently in use by any general licensees, or where no general licensees have purchased systems under those amendments.
a. Currently only Amendment 6 (MY), 7 (Duke) and 9 (APS) are being used.

Amendments 5 and 8 are not currently utilized by any sites.

2. In the application, one of the general licensees (Arizona Public Service/Palo Verde ISFSI) in its letter documenting voluntary acceptance/implementation of the CoC revision, noted it will adopt the CoC revision described in UMS Amendment 10 once approved. Please have the general licensee clarify what amendment(s) it is currently using, and whether it intends to adopt the revision to the current amendment(s) it is using or whether it intends to adopt the new Amendment No. 10.
a. Since the amount of work for APS would be the same going from A9 to A9 Revision 1 or A10, APS intends on adopting Amendment 10 once effective.
3. In the application, one of the general licensees (Duke/ Catawba and McGuire ISFSIs) in its letter documenting voluntary acceptance/implementation of the CoC revision, noted: Instead of adopting a revision to the UMS amendment, Catawba and McGuire will be adopting the latest amendment for the UMS system, CoC No. 1015 Amendment 10 after approval from the NRC has been received. Please clarify what amendment(s) the general licensee is currently using at the Catawba and McGuire ISFSIs.
a. Both Duke sites (Catawba and McGuire) are currently using Amendment 7. The Duke sites will be adopting UMS Amendment 10 instead of adopting Amendment 7 Revision 1.

Heath Baldner Director, Licensing NAC International Inc.

2 Sun Court, Suite 220, Peachtree Corners, GA 30092 678.328.1252 hbaldner@nacintl.com

From: Kristina Banovac <Kristina.Banovac@nrc.gov>

Sent: Wednesday, December 18, 2024 5:43 PM To: Heath Baldner <hbaldner@nacintl.com>

Cc: Norma Garcia Santos <Norma.GarciaSantos@nrc.gov>; Devaser, Nishka

<nishka.devaser@nrc.gov>

Subject:

REQUEST re: NRC review of Revisions to NAC-UMS Amendment Nos. 5 through 9

[External]

Good afternoon Heath,

Please provide the following information that is needed for NRCs development of the backfit discussion and rulemaking package for the request for NAC-UMS CoC No. 1015, Amendment No. 10 and Revisions to Amendment Nos. 5 through 9 (ML23283A249):

1. Please clarify which, if any, of the Amendment Nos. 5 through 9 are not currently in use by any general licensees, or where no general licensees have purchased systems under those amendments.
2. In the application, one of the general licensees (Arizona Public Service/Palo Verde ISFSI) in its letter documenting voluntary acceptance/implementation of the CoC revision, noted it will adopt the CoC revision described in UMS Amendment 10 once approved. Please have the general licensee clarify what amendment(s) it is currently using, and whether it intends to adopt the revision to the current amendment(s) it is using or whether it intends to adopt the new Amendment No. 10.
3. In the application, one of the general licensees (Duke/ Catawba and McGuire ISFSIs) in its letter documenting voluntary acceptance/implementation of the CoC revision, noted: Instead of adopting a revision to the UMS amendment, Catawba and McGuire will be adopting the latest amendment for the UMS system, CoC No. 1015 Amendment 10 after approval from the NRC has been received. Please clarify what amendment(s) the general licensee is currently using at the Catawba and McGuire ISFSIs.

Please let me know if you have any questions regarding this request.

Thank you, Kris

Kristina Banovac, Project Manager Storage and Transportation Licensing Branch

Division of Fuel Management Office of Nuclear Material Safety and Safeguards U.S. Nuclear Regulatory Commission 301-415-7116