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| issue date = 09/10/2013 | | issue date = 09/10/2013 | ||
| title = Letter from Micheal R. Caster Forwarding Enclosed Standard Practice Procedures Plan'S for Waterford 3 Nuclear Power Station and Palisades Nuclear Plant | | title = Letter from Micheal R. Caster Forwarding Enclosed Standard Practice Procedures Plan'S for Waterford 3 Nuclear Power Station and Palisades Nuclear Plant | ||
| author name = Caster M | | author name = Caster M | ||
| author affiliation = Entergy Services, Inc | | author affiliation = Entergy Services, Inc | ||
| addressee name = | | addressee name = | ||
Line 15: | Line 15: | ||
=Text= | =Text= | ||
{{#Wiki_filter:Entergy Services, | {{#Wiki_filter:Entergy Services, Inc 1340 Echelon Parkway Jackson, Mississippi 39213 | ||
_W- yTel 601-368-5000 To Whom It May Concern: | |||
Standard Practice Procedures | Please retain the enclosed Standard Practice Procedures Plan's for Waterford 3 Nuclear Power Station and Palisades Nuclear Plant. | ||
This document outlines the security responsibilities of:Palisades Nuclear Power | If you have any questions, please contact me at: | ||
This company's personnel will, however, have authorized access to Classified Information | mcastercentergy. com | ||
The NRC security clearances granted our personnel have been issued,or approved by NRC headquarters. | -or-601-201-7388 Regards, Michael R. Caster Security Coordinator Entergy Services, Inc. | ||
We understand that our company will be responsible for ensuring that the following | |||
Termination briefings are conducted and documented in accordance with 10 CFR | Standard Practice Procedures Plan The following Standard Practice Procedures Plan applies to Entergy Operations, Inc. facilities authorized to use but not possess Classified Information. | ||
Termination statements are forwarded to | This document outlines the security responsibilities of: | ||
Palisades Nuclear Power Plant With its principle office and place of business at: | |||
1340 Echelon Parkway Jackson, MS 39213 Doing business at the address below: | |||
27780 Blue Star Highway Covert, Ml 49043 The provision of our license with the Nuclear Regulatory Commission (NRC) does not require our company to receive, store, transmit, or originate Classified Information within our facilities. | |||
This company's personnel will, however, have authorized access to Classified Information at approved NRC facilities. The NRC security clearances granted our personnel have been issued, or approved by NRC headquarters. | |||
We understand that our company will be responsible for ensuring that the following security requirements are met: | |||
Initial and annual refresher briefings are conducted and documented as required by 10 CFR Part 95 and that the SF-312, Classified Information Nondisclosure Agreement Form, is signed and processed prior to any access to Classified Information. | |||
Termination briefings are conducted and documented in accordance with 10 CFR Parts 25 and 95 for all cleared individuals leaving our employment, losing their clearances, or no longer requiring a clearance. Termination statements are forwarded to NRC headquarters.. | |||
Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements. | Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements. | ||
Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information. | Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information. | ||
1 of 2 Standard Practice Procedures | 1 of 2 | ||
Designated representatives of the NRC are required periodically to inspect | Standard Practice Procedures Plan Reporting requirements involving foreign ownership, control, or influence conditions are complied with. | ||
Procedures are developed describing internal company processes for performing functions to accomplish each of the items above. Applicable company employees will be familiar and comply with security procedures and be informed of their individual responsibilities in executing and supporting these procedures. | |||
& | Designated representatives of the NRC are required periodically to inspect the procedures, methods, and facilities utilized by the company in complying with the requirements of the terms and conditions of 10 CFR Part 25 and 95. The company shall assist by providing necessary documentation for review. | ||
This document outlines the security responsibilities of:Waterford 3 Nuclear Power | CERTIFICATIONS I have been designated as the Facility Security Officer for the above mentioned site. I will be responsible for ensuring the above requirements are fully complied with. | ||
This company's personnel will, however, have authorized access to Classified Information | David Berkenpas Name Signature 269-764-2835 09-05-2013 Phone Number Date Certified By Fred Marcussen Title Director, Security Signature & Date 2 of 2 | ||
The NRC security clearances granted our personnel have been issued,or approved by NRC headquarters. | |||
We understand that our company will be responsible for ensuring that the following | Standard Practice Procedures Plan The following Standard Practice Procedures Plan applies to Entergy Operations, Inc. facilities authorized to use but not possess Classified Information. | ||
Termination briefings are conducted and documented in accordance with 10 CFR | This document outlines the security responsibilities of: | ||
Termination statements are forwarded to | Waterford 3 Nuclear Power Plant With its principle office and place of business at: | ||
1340 Echelon Parkway Jackson, MS 39213 Doing business at the address below: | |||
17265 River Road Killona, LA 70057 The provision of our license with the Nuclear Regulatory Commission (NRC) does not require our company to receive, store, transmit, or originate Classified Information within our facilities. | |||
This company's personnel will, however, have authorized access to Classified Information at approved NRC facilities. The NRC security clearances granted our personnel have been issued, or approved by NRC headquarters. | |||
We understand that our company will be responsible for ensuring that the following security requirements are met: | |||
Initial and annual refresher briefings are conducted and documented as required by 10 CFR Part 95 and that the SF-312, Classified Information Nondisclosure Agreement Form, is signed and processed prior to any access to Classified Information. | |||
Termination briefings are conducted and documented in accordance with 10 CFR Parts 25 and 95 for all cleared individuals leaving our employment, losing their clearances, or no longer requiring a clearance. Termination statements are forwarded to NRC headquarters. | |||
Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements. | Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements. | ||
Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information. | Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information. | ||
1 of 2 Standard Practice Procedures | 1 of 2 | ||
Designated representatives of the NRC are required periodically to inspect | Standard Practice Procedures Plan Reporting requirements involving foreign ownership, control, or influence conditions are complied with. | ||
Procedures are developed describing internal company processes for performing functions to accomplish each of the items above. Applicable company employees will be familiar and comply with security procedures and be informed of their individual responsibilities in executing and supporting these procedures. | |||
Designated representatives of the NRC are required periodically to inspect the procedures, methods, and facilities utilized by the company in complying with the requirements of the terms and conditions of 10 CFR Part 25 and 95. The company shall assist by providing necessary documentation for review. | |||
CERTIFICATIONS I have been designated as the Facility Security Officer for the above mentioned site. I will be responsible for ensuring the above requirements are fully complied wi. | |||
Andre James Pod, IL f4Add Name Sign4(ure 504-739-6340 q.-~-i3 Phone Number Date Certified By Fred Marcussen Title Director, Security Signature & Date 2 of 2}} |
Latest revision as of 13:18, 4 November 2019
ML13263A290 | |
Person / Time | |
---|---|
Site: | Palisades, Waterford |
Issue date: | 09/10/2013 |
From: | Caster M Entergy Services |
To: | Office of Nuclear Reactor Regulation |
References | |
Download: ML13263A290 (5) | |
Text
Entergy Services, Inc 1340 Echelon Parkway Jackson, Mississippi 39213
_W- yTel 601-368-5000 To Whom It May Concern:
Please retain the enclosed Standard Practice Procedures Plan's for Waterford 3 Nuclear Power Station and Palisades Nuclear Plant.
If you have any questions, please contact me at:
mcastercentergy. com
-or-601-201-7388 Regards, Michael R. Caster Security Coordinator Entergy Services, Inc.
Standard Practice Procedures Plan The following Standard Practice Procedures Plan applies to Entergy Operations, Inc. facilities authorized to use but not possess Classified Information.
This document outlines the security responsibilities of:
Palisades Nuclear Power Plant With its principle office and place of business at:
1340 Echelon Parkway Jackson, MS 39213 Doing business at the address below:
27780 Blue Star Highway Covert, Ml 49043 The provision of our license with the Nuclear Regulatory Commission (NRC) does not require our company to receive, store, transmit, or originate Classified Information within our facilities.
This company's personnel will, however, have authorized access to Classified Information at approved NRC facilities. The NRC security clearances granted our personnel have been issued, or approved by NRC headquarters.
We understand that our company will be responsible for ensuring that the following security requirements are met:
Initial and annual refresher briefings are conducted and documented as required by 10 CFR Part 95 and that the SF-312, Classified Information Nondisclosure Agreement Form, is signed and processed prior to any access to Classified Information.
Termination briefings are conducted and documented in accordance with 10 CFR Parts 25 and 95 for all cleared individuals leaving our employment, losing their clearances, or no longer requiring a clearance. Termination statements are forwarded to NRC headquarters..
Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements.
Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information.
1 of 2
Standard Practice Procedures Plan Reporting requirements involving foreign ownership, control, or influence conditions are complied with.
Procedures are developed describing internal company processes for performing functions to accomplish each of the items above. Applicable company employees will be familiar and comply with security procedures and be informed of their individual responsibilities in executing and supporting these procedures.
Designated representatives of the NRC are required periodically to inspect the procedures, methods, and facilities utilized by the company in complying with the requirements of the terms and conditions of 10 CFR Part 25 and 95. The company shall assist by providing necessary documentation for review.
CERTIFICATIONS I have been designated as the Facility Security Officer for the above mentioned site. I will be responsible for ensuring the above requirements are fully complied with.
David Berkenpas Name Signature 269-764-2835 09-05-2013 Phone Number Date Certified By Fred Marcussen Title Director, Security Signature & Date 2 of 2
Standard Practice Procedures Plan The following Standard Practice Procedures Plan applies to Entergy Operations, Inc. facilities authorized to use but not possess Classified Information.
This document outlines the security responsibilities of:
Waterford 3 Nuclear Power Plant With its principle office and place of business at:
1340 Echelon Parkway Jackson, MS 39213 Doing business at the address below:
17265 River Road Killona, LA 70057 The provision of our license with the Nuclear Regulatory Commission (NRC) does not require our company to receive, store, transmit, or originate Classified Information within our facilities.
This company's personnel will, however, have authorized access to Classified Information at approved NRC facilities. The NRC security clearances granted our personnel have been issued, or approved by NRC headquarters.
We understand that our company will be responsible for ensuring that the following security requirements are met:
Initial and annual refresher briefings are conducted and documented as required by 10 CFR Part 95 and that the SF-312, Classified Information Nondisclosure Agreement Form, is signed and processed prior to any access to Classified Information.
Termination briefings are conducted and documented in accordance with 10 CFR Parts 25 and 95 for all cleared individuals leaving our employment, losing their clearances, or no longer requiring a clearance. Termination statements are forwarded to NRC headquarters.
Cleared company personnel are apprised of and comply with the personnel clearance reporting requirements.
Foreign National employees are not placed in a position to exercise control or influence over properly cleared U.S. citizens who have been granted access to NRC classified information.
1 of 2
Standard Practice Procedures Plan Reporting requirements involving foreign ownership, control, or influence conditions are complied with.
Procedures are developed describing internal company processes for performing functions to accomplish each of the items above. Applicable company employees will be familiar and comply with security procedures and be informed of their individual responsibilities in executing and supporting these procedures.
Designated representatives of the NRC are required periodically to inspect the procedures, methods, and facilities utilized by the company in complying with the requirements of the terms and conditions of 10 CFR Part 25 and 95. The company shall assist by providing necessary documentation for review.
CERTIFICATIONS I have been designated as the Facility Security Officer for the above mentioned site. I will be responsible for ensuring the above requirements are fully complied wi.
Andre James Pod, IL f4Add Name Sign4(ure 504-739-6340 q.-~-i3 Phone Number Date Certified By Fred Marcussen Title Director, Security Signature & Date 2 of 2