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| number = ML18270A214
| number = ML18270A214
| issue date = 10/04/2018
| issue date = 10/04/2018
| title = 10/04/2018 Letter to W. Irwin Vermont Revised Proposed Regulations
| title = Letter to W. Irwin Vermont Revised Proposed Regulations
| author name = Atack S
| author name = Atack S
| author affiliation = NRC/NMSS/DMSST
| author affiliation = NRC/NMSS/DMSST
Line 9: Line 9:
| docket =  
| docket =  
| license number =  
| license number =  
| contact person = Beardsley M R
| contact person = Beardsley M
| package number = ML18268A243
| package number = ML18268A243
| document type = Agreement States-Regulations Review, Letter
| document type = Agreement States-Regulations Review, Letter
Line 16: Line 16:


=Text=
=Text=
{{#Wiki_filter:}}
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 October 4, 2018 William Irwin. Sc.D., CHP, Chief Office of Radiological Health Vermont Department of Health 108 Cherry Street P.O. Box 70 Burlington, VT 05402
 
==Dear Dr. Irwin:==
 
We have reviewed the proposed revisions to the Vermont regulations Chapter 6, Subchapter 5 - Radioactive Materials Rule, received by our office on September 24, 2018.
These regulations were reviewed by comparison to the equivalent U.S. Nuclear Regulatory Commission (NRC) rules as identified in the enclosed State Regulation Status (SRS) Data Sheet. We discussed our review of the regulations with you October 4, 2018.
As a result of our review, we have five comments that have been identified in the enclosure.
Please note that we have limited our review to regulations required for compatibility or health and safety. We have determined that if these regulations are revised, incorporating our comment and without other significant change, they would meet the compatibility and health and safety categories established in the Office of Nuclear Material Safety and Safeguards (NMSS)
Procedure SA-200, Compatibility Categories and Health and Safety Identification for NRC Regulations and Other Program Elements.
The SRS Data Sheet summarizes our knowledge of the status of all Vermont regulations, as indicated. Please let us know if you note any inaccuracies, or have any comments on the information contained in the SRS Data Sheet. This letter, including the SRS Data Sheet, is posted on the NMSS State Communication Portal: https://scp.nrc.gov/rulemaking.html.
 
W. Irwin                                    If you have any questions regarding the comments, the compatibility and health and safety categories, or any of the NRC regulations used in the review, please contact Michelle Beardsley, State Regulation Review Coordinator, at (267) 884-2305 (Michelle.Beardsley@nrc.gov).
Sincerely,
                                            /RA Paul Michalak for S Attack/
Sabrina Atack, Acting Deputy Director Division of Materials Safety, Security, State and Tribal Programs Office of Nuclear Material Safety and Safeguards
 
==Enclosures:==
: 1. Compatibility and Editorial Comments
: 2. Vermont SRS Data Sheet
 
W. Irwin                             
 
==SUBJECT:==
VERMONT REVISED PROPOSED REGULATIONS DISTRIBUTION: SP[05]
DIR RF (VT 18-57)
MFord, RSAO
[VT] File OFFICE        ASPB            OGC        ASPB:BC      MSTR:DD NAME        MBeardsley  JScro NLO via    PMichalak  PMichalak for email                      SAtack DATE        9/2/18          10/3/18      10/4/18      10/4/18 ML18270A214                  OFFICIAL RECORD COPY        Package ML18268A243
 
COMPATIBILITY COMMENTS ON VERMONT PROPOSED REGULATIONS STATE SECTION  NRC SECTION    RATS ID  CATEGORY  SUBJECT and COMMENTS 1  1.2.5      150.3          NA        Various  Definitions 12.10.1 Vermont incorporates 10 CFR 150.3 in Section 1.2.5., but does not list 150.3 in Section 12.10.1. This presents conflicting regulations.
Vermont needs to include 10 CFR 150.3 in Section 12.10.1. of their regulations to meet the various Compatibility Category designations assigned to 10 CFR 150.3, Definitions.
2  1.3        30.4          NA            H&S  Definitions: Byproduct material 40.4 a) In Section 1.3, Vermont regulations contain the sentence, In addition, the following words and terms, when used in this rule, have the following meanings, unless the context clearly indicates otherwise. This statement is confusing and may cause conflicts with other definitions.
Vermont should either clarify this sentence or delete it from Section 1.3. to avoid possible conflicts and confusion.
b) Section 1.3 reads as if the Part 40 definition of byproduct material is the only definition included in the Vermont regulations. Although, Vermont incorporates the definitions in Part 30 in the first sentence of Section 1.3, the second sentence states that if a term is specifically defined in a subpart to 1.3, the incorporated definition from the NRC regulations does not apply.
Vermont needs to delete the Enclosure 1
 
STATE SECTION NRC SECTION RATS ID  CATEGORY  SUBJECT and COMMENTS definition of byproduct material in Section 1.3.2. to avoid conflicting definitions.
Vermont needs to make the changes indicated above to meet the Compatibility Category H&S designation assigned to 10 CFR 30.4 and 40.4.
3  12.8.2    40.4        NA          Various Definitions In Section 12.8.2, Vermont excludes 10 CFR 40.4 from incorporation by reference; however, several definitions in 10 CFR 40.4 are required for compatibility. Vermont needs to delete the reference to 10 CFR 40.4 from this Section, because they are adopting the required references directly.
Vermont needs to make the changes indicated above to meet the various compatibility category designations assigned to 10 CFR 40.4, Definitions.
4  1.1      NA          NA          Various General comments 1.2.1 1.2.3                                        a) In Section 1.1 and 1.2.1 Vermont regulations contain the term radioactive materials, however this term is not defined in their regulations.
Vermont should either define this term or replace it with the applicable term(s), i.e.,
byproduct/source materials.
b) In Section 1.2.3, Vermont regulations contain the statement, Similarly, this rule only regulates nonionizing radiation under State authority. The Agreement between the NRC and Vermont will relinquish the 2
 
STATE SECTION    NRC SECTION  RATS ID      CATEGORY SUBJECT and COMMENTS authority to regulate ionizing radiation. Vermont needs to either clarify what is meant by this statement or delete it.
5  3.7          NA            NA                NA  Penalties In Section 3.7 Vermont references the Atomic Energy Act (AEA) and Energy Reorganization Act (ERA). The State cannot reference these Acts.
Vermont needs to delete the references to the AEA and ERA and reference their States Radiation Control Act instead.
Editorial comments State Section            NRC Section              Comment 1.2.6.5                  NA                      In Section 1.2.6.5, the term NARM should be defined in the first sentence.
1.3                      NA                      In Section 1.3, the term, 10 CFR Chapter 1 should be 10 CFR Chapter I.
3
 
STATE REGULATION STATUS State: Vermont                                                                                                      Tracking Ticket Number: 18-57 Date: 10/04/2018 Vermont Submittal Description                                            Incoming            Outgoing                Notes Letter              Package
*10 CFR Parts 19, 20, 30, 31, 32, 33, 34, 35, 36, 37, 39, 40,            ML17172A627        Comments                Vermont submitted regulations that 61.551, 61.661, 61.671, 70, 71, and 150                                  6/19/2017          10/25/2017              incorporate NRC regulations by ML17172A626              reference.
Vermont Radioactive Materials Rule Revised            Comments Proposed            01/09/2018 ML17331A820        ML17331A819 11/22/2017 Revised            No Comments Proposed            02/27/2018 ML18019A066        ML18019A050 01/18/2018 Revised            Comments Proposed            DATE10/4/2018 ML18268A249        ML18268A243 09/24/2018 1 IMPEP  review team: Vermont submitted Parts 61.55, 61.56 and 61.57 relating to classification, characterization, and labeling of radioactive waste only; please ensure that Vermont does not have licensees/plans for Part 61 facilities.
Enclosure 2}}

Latest revision as of 08:25, 30 November 2019

Letter to W. Irwin Vermont Revised Proposed Regulations
ML18270A214
Person / Time
Issue date: 10/04/2018
From: Sabrina Atack
NRC/NMSS/DMSST
To: Irwin W
State of VT, Dept of Health
Beardsley M
Shared Package
ML18268A243 List:
References
Download: ML18270A214 (7)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 October 4, 2018 William Irwin. Sc.D., CHP, Chief Office of Radiological Health Vermont Department of Health 108 Cherry Street P.O. Box 70 Burlington, VT 05402

Dear Dr. Irwin:

We have reviewed the proposed revisions to the Vermont regulations Chapter 6, Subchapter 5 - Radioactive Materials Rule, received by our office on September 24, 2018.

These regulations were reviewed by comparison to the equivalent U.S. Nuclear Regulatory Commission (NRC) rules as identified in the enclosed State Regulation Status (SRS) Data Sheet. We discussed our review of the regulations with you October 4, 2018.

As a result of our review, we have five comments that have been identified in the enclosure.

Please note that we have limited our review to regulations required for compatibility or health and safety. We have determined that if these regulations are revised, incorporating our comment and without other significant change, they would meet the compatibility and health and safety categories established in the Office of Nuclear Material Safety and Safeguards (NMSS)

Procedure SA-200, Compatibility Categories and Health and Safety Identification for NRC Regulations and Other Program Elements.

The SRS Data Sheet summarizes our knowledge of the status of all Vermont regulations, as indicated. Please let us know if you note any inaccuracies, or have any comments on the information contained in the SRS Data Sheet. This letter, including the SRS Data Sheet, is posted on the NMSS State Communication Portal: https://scp.nrc.gov/rulemaking.html.

W. Irwin If you have any questions regarding the comments, the compatibility and health and safety categories, or any of the NRC regulations used in the review, please contact Michelle Beardsley, State Regulation Review Coordinator, at (267) 884-2305 (Michelle.Beardsley@nrc.gov).

Sincerely,

/RA Paul Michalak for S Attack/

Sabrina Atack, Acting Deputy Director Division of Materials Safety, Security, State and Tribal Programs Office of Nuclear Material Safety and Safeguards

Enclosures:

1. Compatibility and Editorial Comments
2. Vermont SRS Data Sheet

W. Irwin

SUBJECT:

VERMONT REVISED PROPOSED REGULATIONS DISTRIBUTION: SP[05]

DIR RF (VT 18-57)

MFord, RSAO

[VT] File OFFICE ASPB OGC ASPB:BC MSTR:DD NAME MBeardsley JScro NLO via PMichalak PMichalak for email SAtack DATE 9/2/18 10/3/18 10/4/18 10/4/18 ML18270A214 OFFICIAL RECORD COPY Package ML18268A243

COMPATIBILITY COMMENTS ON VERMONT PROPOSED REGULATIONS STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS 1 1.2.5 150.3 NA Various Definitions 12.10.1 Vermont incorporates 10 CFR 150.3 in Section 1.2.5., but does not list 150.3 in Section 12.10.1. This presents conflicting regulations.

Vermont needs to include 10 CFR 150.3 in Section 12.10.1. of their regulations to meet the various Compatibility Category designations assigned to 10 CFR 150.3, Definitions.

2 1.3 30.4 NA H&S Definitions: Byproduct material 40.4 a) In Section 1.3, Vermont regulations contain the sentence, In addition, the following words and terms, when used in this rule, have the following meanings, unless the context clearly indicates otherwise. This statement is confusing and may cause conflicts with other definitions.

Vermont should either clarify this sentence or delete it from Section 1.3. to avoid possible conflicts and confusion.

b) Section 1.3 reads as if the Part 40 definition of byproduct material is the only definition included in the Vermont regulations. Although, Vermont incorporates the definitions in Part 30 in the first sentence of Section 1.3, the second sentence states that if a term is specifically defined in a subpart to 1.3, the incorporated definition from the NRC regulations does not apply.

Vermont needs to delete the Enclosure 1

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS definition of byproduct material in Section 1.3.2. to avoid conflicting definitions.

Vermont needs to make the changes indicated above to meet the Compatibility Category H&S designation assigned to 10 CFR 30.4 and 40.4.

3 12.8.2 40.4 NA Various Definitions In Section 12.8.2, Vermont excludes 10 CFR 40.4 from incorporation by reference; however, several definitions in 10 CFR 40.4 are required for compatibility. Vermont needs to delete the reference to 10 CFR 40.4 from this Section, because they are adopting the required references directly.

Vermont needs to make the changes indicated above to meet the various compatibility category designations assigned to 10 CFR 40.4, Definitions.

4 1.1 NA NA Various General comments 1.2.1 1.2.3 a) In Section 1.1 and 1.2.1 Vermont regulations contain the term radioactive materials, however this term is not defined in their regulations.

Vermont should either define this term or replace it with the applicable term(s), i.e.,

byproduct/source materials.

b) In Section 1.2.3, Vermont regulations contain the statement, Similarly, this rule only regulates nonionizing radiation under State authority. The Agreement between the NRC and Vermont will relinquish the 2

STATE SECTION NRC SECTION RATS ID CATEGORY SUBJECT and COMMENTS authority to regulate ionizing radiation. Vermont needs to either clarify what is meant by this statement or delete it.

5 3.7 NA NA NA Penalties In Section 3.7 Vermont references the Atomic Energy Act (AEA) and Energy Reorganization Act (ERA). The State cannot reference these Acts.

Vermont needs to delete the references to the AEA and ERA and reference their States Radiation Control Act instead.

Editorial comments State Section NRC Section Comment 1.2.6.5 NA In Section 1.2.6.5, the term NARM should be defined in the first sentence.

1.3 NA In Section 1.3, the term, 10 CFR Chapter 1 should be 10 CFR Chapter I.

3

STATE REGULATION STATUS State: Vermont Tracking Ticket Number: 18-57 Date: 10/04/2018 Vermont Submittal Description Incoming Outgoing Notes Letter Package

  • 10 CFR Parts 19, 20, 30, 31, 32, 33, 34, 35, 36, 37, 39, 40, ML17172A627 Comments Vermont submitted regulations that 61.551, 61.661, 61.671, 70, 71, and 150 6/19/2017 10/25/2017 incorporate NRC regulations by ML17172A626 reference.

Vermont Radioactive Materials Rule Revised Comments Proposed 01/09/2018 ML17331A820 ML17331A819 11/22/2017 Revised No Comments Proposed 02/27/2018 ML18019A066 ML18019A050 01/18/2018 Revised Comments Proposed DATE10/4/2018 ML18268A249 ML18268A243 09/24/2018 1 IMPEP review team: Vermont submitted Parts 61.55, 61.56 and 61.57 relating to classification, characterization, and labeling of radioactive waste only; please ensure that Vermont does not have licensees/plans for Part 61 facilities.

Enclosure 2