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Issue date | Title | Topic | |
---|---|---|---|
ML18152B445 | 17 August 1999 | Comment on Draft Rg DG-4006, Demonstrating Compliance with Radiological Criterial for License Termination. | |
ML20148M651 | 18 June 1997 | Comment Opposing Proposed Suppl to Bulletin 96-001 That Would Request Licensees to Take Action to Ensure Continued Operability of Control Rods | Shutdown Margin |
L-95-045, Comment on Proposed Rules 10CFR2,50 & 51 Re Decommissioning of Nuclear Power Reactors | 19 October 1995 | Comment on Proposed Rules 10CFR2,50 & 51 Re Decommissioning of Nuclear Power Reactors | |
ML18153A758 | 1 September 1995 | Comment Supporting Review of Revised NRC SALP Program | Systematic Assessment of Licensee Performance |
ML18153A730 | 28 April 1995 | Comment Supporting Proposed GL Re Pressure Locking & Thermal Binding of safety-related power-operated Gate Valves | Stroke time Backfit |
ML20080M112 | 27 February 1995 | Comment Re Proposed Suppl 5 to GL 88-20 IPEEE for Severe Accident Vulnerabilities. Proposed GL Suppl Should Indicate That Licensees Can Use Llnl Hazard Results of NUREG-1488 Re Revised Hazard Estimates Instead of NUREG/CR-5250 | |
ML20076H964 | 11 October 1994 | Comment Opposing Proposed Rule Re Pilot Program for NRC Recognition of Good Performance by Npps.Encourages NRC to Consider Comments Submitted by Nuclear Energy Institute on Behalf of Nuclear Power Industry | |
ML20073M075 | 23 September 1994 | Comment on Proposed Rules 10CFR30,40,70 & 72 Re Clarification of Decommissioning Funding Requirements. Permitting Access to Funds Only on Semiannual Basis Seems Unnecessarily Restrictive | |
ML20069L529 | 13 June 1994 | Comment Supporting Proposed Rulemaking 50-60 Re Petition for Rulemaking & Changes to 10CFR50.54 | |
ML20029D825 | 29 April 1994 | Comment Supporting Elimination of Proposed 5-yr Implementation Schedule & Believes That Current Programs Adequate to Maintain Containment Integrity | VT-2 |
ML20046D038 | 26 July 1993 | Comment on Proposed Rules 10CFR170 & 171, FY91 & 92 Proposed Rule Implementing Us Court of Appeals Decision & Rev of Fee Schedules;100% Fee Recovery,FY93. Supports Rule | |
ML20045D803 | 14 June 1993 | Comment on Proposed Rules 10CFR50 & 54, FSAR Submittals. Endorses Change in Regulation to Eliminate Confusion Re Two Refs to Existing Reporting Requirement | |
ML20044G197 | 24 May 1993 | Comment Supporting Draft Insp Procedure Re Commercial Grade Procurement & Dedication | |
ML20044E572 | 19 May 1993 | Comment Supporting Proposed Generic Ltr for Relocation of TS Tables on Instrument Response Time Limits | |
ML20044D327 | 7 May 1993 | Comment Opposing Proposed GL Availability & Adequacy of Design Bases Info | |
ML20099E102 | 29 July 1992 | Comment Supporting Proposed Rule 10CFR50 Re Minor Mods to Nuclear Power Reactor Event Reporting Requirements | |
ML20095J688 | 23 April 1992 | Comment Opposing Draft Reg Guide DG-1022, Emergency Planning & Preparedness for Nuclear Power Plants | |
ML20077R516 | 14 August 1991 | Comment Supporting Petition for Rulemaking PRM-20-20 Re Reduced Total Effective Dose Equivalent to Individual Members of Public from 0.5 Rem (5 Msv) to 0.1 Rem (1 Msv) | |
ML20058D475 | 19 October 1990 | Comment Supporting Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal | License Renewal |
ML20235N853 | 14 February 1989 | Comment Supporting Chapter 1 Re Policy Statement on Exemptions Below Regulatory Concern.Policy Development for Criteria for Release of Radioactive Matl Needed for Development of Consistent Waste Mgt Practices | |
ML20235P331 | 8 February 1989 | Comment Opposing Proposed Rules 10CFR50 & 55 Re Educ & Experience Requirements for Senior Reactor Operators & Supervisors at Nuclear Power Plants | |
ML20205Q150 | 28 October 1988 | Comment on Proposed Rule 10CFR50 Re NUREG-1317, Regulatory Options for Nuclear Plant License Renewal. Safety Sys Functional Insps & Configuration Mgt Programs Support Renewal Basis as Opposed to Relicensing Process | Backfit |
ML20150A900 | 4 July 1988 | Comment Opposing Proposed Rule 10CFR50 Re leak-before-break Technology.Further Use of Subj Technology for ECCS Would Reduce Safety Assurances & Safety Benefits.Experience Shows That pipe-thinning Progresses Faster than Expected | |
ML20150F139 | 2 July 1988 | Comment Opposing Proposed Rule 10CFR50 Re Expansion of Applicability of Leak Before Break Technology to Functional & Performance Requirements for ECCS & Environ Qualification | |
ML20150B000 | 1 July 1988 | Comment Opposing Proposed Rule 10CFR50 Re leak-before-break (LBB) Technology.Pipes Do Not Always Leak Before Breaking. NRC Has Accepted Faulty Assumptions as Facts Reaching Conclusion That LBB Eliminates Need for Insp.Addl Info Encl | Earthquake Backfit |
ML20150A905 | 30 June 1988 | Comment Opposing Proposed Rule 10CFR50 Re leak-before-break Technology for safety-related Equipment.Nrc Reliance on leak-before-break Is Irrational Response to Very Real Safety Problem.Nrc Should Implement Mandatory Piping Insp | Earthquake |
ML20235S938 | 25 September 1987 | Comments on Draft NUREG-1150, Reactor Risk Ref Document. Results Are More Pessimistic than Results Obtained Under Idcor Program.Comment on NUREG-4550 Encl | Safe Shutdown |
ML20151B427 | 24 February 1987 | Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning | Chernobyl |