ML25196A476
| ML25196A476 | |
| Person / Time | |
|---|---|
| Site: | 07000925 |
| Issue date: | 07/08/2025 |
| From: | James Smith NRC/NMSS/DDUWP/URMDB |
| To: | Melissa Crawford Environmental Properties Management |
| References | |
| Download: ML25196A476 (1) | |
Text
1 James Smith From:
James Smith Sent:
Tuesday, July 8, 2025 4:49 PM To:
Crawford, Mathew D Cc:
Yalen, Robert (USANYS); Stephanie Anderson; Linda Gersey; Rachel Miller; J. Paul Davis; ext_Keisha_Cornelius; courtney.redmond@deq.ok.gov; lee.dooley@deq.ok.gov; David A.
Cates PE (david.cates@deq.ok.gov); Jonathan Reid; VCP Submittals; Hesemann, John; Angela Coggins
Subject:
RE: CERT - Clarification of NRCs January 15, 2025, Letter Regarding Requirements for Divested Properties Hi Matt-Thank you for your letter of July 1, 2025, requesting additional clari"cation. To clarify, the formerly-owned 140-acre SW 1/4 of Section 12 will not be included in the "nal dose assessment.
The reference to institutional controls or deed restrictions in the parenthetical in the NRCs January 2025 letter was only referring to the lack of any controls required by the NRC to manage radiological contamination on the property.
I will place this email into ADAMS to document this email and provide you with a copy of the accession number for your records.
Thanks Jim From: Crawford, Mathew D <mdcrawford@burnsmcd.com>
Sent: Monday, July 7, 2025 3:22 PM To: James Smith <James.Smith@nrc.gov>
Cc: Yalen, Robert (USANYS) <robert.yalen@usdoj.gov>; Stephanie Anderson <Stephanie.Anderson@nrc.gov>; Linda Gersey <Linda.Gersey@nrc.gov>; Rachel Miller <Rachel.Miller@deq.ok.gov>; J. Paul Davis <j.paul.davis@deq.ok.gov>;
ext_Keisha_Cornelius <Keisha.Cornelius@deq.ok.gov>; courtney.redmond@deq.ok.gov; lee.dooley@deq.ok.gov; David A. Cates PE (david.cates@deq.ok.gov) <david.cates@deq.ok.gov>; Jonathan Reid <jonathan.reid@deq.ok.gov>; VCP Submittals <vcpsubmittals@deq.ok.gov>; Hesemann, John <jhesemann@burnsmcd.com>
Subject:
[External_Sender] CERT - Clarification of NRCs January 15, 2025, Letter Regarding Requirements for Divested Properties
2
- Jim, In a letter to the U. S. Nuclear Regulatory Commission (NRC) and the Oklahoma Department of Environmental Quality (DEQ) (ML22209A220) dated July 25, 2022, EPM, requested NRC concurrence that divested portions of the formerly licensed site (for which the NRC approved divestiture with no institutional controls or deed restrictions) will not be included in the "nal dose assessment performed for license termination.
In a letter dated January 15, 2025, the NRC granted the request, stating, The divested portions of the formerly licensed site (for which the NRC approved divestiture with no institutional controls or deed restrictions) will not be included in the "nal dose assessment performed for license termination. This clearly indicates that three of the four divested properties are now excluded from the "nal dose assessment to be performed for license termination. However, deed restrictions are in place on one of the four divested properties - the 140-acre SW 1/4 of Section 12.
In anticipation of License SNM-928 termination, the NRCs parenthetical statement (for which the NRC approved divestiture with no institutional controls or deed restrictions) could be interpreted to mean that the 140-acre SW 1/4 of Section 12 will be included in the "nal dose assessment; although there are deed restrictions this property, they do not address radiological concerns.
In the attached letter (ML25188A226), EPM requests the NRC to provide formal documentation of one of the two proposed resolutions of this issue:
- 1. The formerly-owned 140-acre SW 1/4 of Section 12 will not be included in the "nal dose assessment, or
- 2. The "nal dose assessment for the 140-acre SW 1/4 of Section 12 will be based on the radiological data provided in the August 9, 1995, Final Status Survey Report - Phase I Areas (ML21158A013). The "nal status survey data provided in that report is the basis for the NRCs unrestricted release of that property.
If you have any questions or desire clari"cation, please call me at 816-652-2784.
- Regards, Matt Matt Crawford Project Manager Environmental Properties Management, LLC O (816) 652-2784 \\ M (785) 317-4535