ML14091B128: Difference between revisions

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{{Adams
#REDIRECT [[0CAN041401, NRC Augmented Inspection Team Follow-up Inspection Report 05000313/2013012 and 05000368/2013012; Preliminary Red and Yellow Findings]]
| number = ML14091B128
| issue date = 04/01/2014
| title = NRC Augmented Inspection Team Follow-up Inspection Report 05000313/2013012 and 05000368/2013012; Preliminary Red and Yellow Findings
| author name = Browning J
| author affiliation = Entergy Operations, Inc
| addressee name =
| addressee affiliation = NRC/Document Control Desk, NRC/NRR
| docket = 05000313, 05000368
| license number =
| contact person =
| case reference number = 0CAN041401, IR-13-012
| document type = Legal-Affidavit, Letter
| page count = 5
}}
See also: [[see also::IR 05000313/2013012]]
 
=Text=
{{#Wiki_filter:0CAN041401April 1, 2014U.S. Nuclear Regulatory CommissionAttn: Document Control DeskWashington, DC  20555SUBJECT:  Arkansas Nuclear One - NRC Augmented Inspection Team Follow-up InspectionReport 05000313/2013012 and 05000368/2013012; Preliminary Red and Yellow
FindingsDear Sir or Madam:On March 24, 2014, the Nuclear Regulatory Commission (NRC) provided the results of thesubject inspection in a letter (ML14083A409) to members of the Entergy Operations, Inc.(Entergy) management team at Arkansas Nuclear One (ANO).  The results included theidentification of apparent greater than green violations.Previously, at the February 10, 2014, exit meeting, Entergy requested a regulatory conferenceto discuss the apparent violations.  The regulatory conference is currently scheduled for May 1,2014, from 1-5 pm at the NRC  Region IV office in Arlington, Texas, and is open to the public.Much of the information that will be provided in the regulatory conference is consideredproprietary to Entergy; therefore, Entergy requests that portions of the regulatory conference beclosed to members of the public in accordance with 10 CFR 2.390.  Entergy requests that theclosed portion of the regulatory conference be a 2-hour block preceding the open portion of themeeting.  An affidavit by Entergy supporting the request for closure of a portion of the regulatoryconference is provided in attachment to this letter.This letter contains no new regulatory commitments.  Should you have any questionsconcerning this letter, or require additional information, please contact Stephenie Pyle at
479.858.4704.
Sincerely,Original signed by Jeremy G. BrowningJGB/rmcAttachment: Affidavit from Entergy, dated April 1, 2014Entergy Operations, Inc.1448 S.R. 333Russellville, AR  72802Tel  479-858-3110Jeremy G.BrowningVice President, OperationsArkansas Nuclear One
0CAN041401Page 2 of 2cc: Mr. Marc L. DapasRegional AdministratorU. S. Nuclear Regulatory Commission, Region IV1600 East Lamar BoulevardArlington, TX 76011-4511NRC Senior Resident InspectorArkansas Nuclear OneP.O. Box 310London, AR 72847U. S. Nuclear Regulatory CommissionAttn: Mr. Peter Bamford
MS O-8B3One White Flint North
11555 Rockville PikeRockville, MD 20852
Attachment to0CAN041401Affidavit from Entergy, dated April 1, 2014
Attachment to
0CAN041401Page 1 of 2UNITED STATES OF AMERICANUCLEAR REGULATORY COMMISSIONIn the Matter of:
))Entergy Operations Inc.
)Docket Nos.  50-313 & 50-368ANO Unit 1
)ANO Unit 2
)AFFIDAVITI, Jeremy Browning, being duly sworn, hereby depose and say that I am the Site Vice Presidentof the Arkansas Nuclear One Nuclear plant, which is operated by Entergy Operations Inc.("Entergy"); that I am duly authorized to sign and file with the Nuclear Regulatory Commission(NRC) this affidavit on behalf of Entergy; and state:
1.I am authorized to execute this affidavit on behalf of Entergy Operations Inc.
2.Much of the information that Entergy will present to the NRC during the regulatoryconference to be conducted in the above-captioned dockets and related to the ANO-1Stator Drop Event of March 31, 2013, was prepared as Attorney Work Product related toresolution of commercial claims and disputes arising out of that event and containscommercial information that should be held in confidence by the NRC pursuant to10 CFR §§ 2.390(a)(4) and 9.17(a)(4), because:
a.This information is and has been held in confidence by Entergy.  A sub-set of theinformation that will be presented at the regulatory conference has beenproduced to third parties on a limited basis and then only subject to non-disclosure protections.  It is being provided to other government agencies onlypursuant to similar non-disclosure requests.
b.This information is of a type that is held in confidence by Entergy, and there is arational basis for doing so because the information relates to ongoing commercialclaims and disputes.
c.This information is not available in public sources and could not be gatheredreadily from other publicly available information.
d.Public disclosure of this information would create substantial harm to Entergy'sability to engage in confidential resolution of these claims and disputes.
e.Previously, in connection with Docket 50-313, Entergy produced the Root CauseEvaluation, dated July 22, 2013, associated with the ANO-1 Stator Drop Event;this documentation has been withheld from public disclosure pursuant to therequirements of 10 CFR §§ 2.390(a)(4) and 9.17(a)(4) for the same reason asdescribed above in Paragraphs 2(a)-2(d).
3.Accordingly, Entergy requests that any regulatory conference in the above-captioneddockets be conducted as non-public, confidential conferences pursuant to therequirements found at 10 CFR §§ 2.390(a) (4) and 9.17(a) (4).
Attachment to
0CAN041401Page 2 of 2I declare under penalty of perjury that the foregoing is true and correct.Executed on April 1, 2014.Executed in Accord with 10 CFR § 2.304(d)Original Signed by Jeremy G. BrowningJeremy Browning
Site Vice President, ANOEntergy Operations Inc.1448 SR 333
Russellville, AR 72802
479-858-3110jbrow17@entergy.com
}}

Latest revision as of 02:55, 19 August 2019