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{{Adams | |||
| number = ML20246E079 | |||
| issue date = 08/18/1989 | |||
| title = Discussess Insp Repts 50-285/89-10 & 50-285/89-23 on 890227-0303 & 0508-10 & Forwards Notice of Violation. Decision Not Reached by NRC Re Failures to Adequately Protect Safeguards Info from Compromises,Per 10CFR73.21 | |||
| author name = Milhoan J | |||
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) | |||
| addressee name = Morris K | |||
| addressee affiliation = OMAHA PUBLIC POWER DISTRICT | |||
| docket = 05000285 | |||
| license number = | |||
| contact person = | |||
| document report number = EA-89-064, EA-89-64, NUDOCS 8908290005 | |||
| package number = ML20246E081 | |||
| document type = CORRESPONDENCE-LETTERS, NRC TO UTILITY, OUTGOING CORRESPONDENCE | |||
| page count = 5 | |||
}} | |||
See also: [[see also::IR 05000285/1989010]] | |||
=Text= | |||
{{#Wiki_filter:. , _ .- | |||
4 | |||
! ' ' g 0 e | |||
of j '% UNITED STATES | |||
M .. NUCLEAR REGULATORY COMMISSION . | |||
s | |||
' | |||
REGION IV | |||
- | |||
- | |||
811 RYAN PLAZA DRIVE. SulTE 1000 J | |||
ARLINGTON. TEXAS 70011; | |||
. | |||
. | |||
, | |||
1 | |||
' ' | |||
' | |||
In ReplyLRefer To: | |||
: Docket'No. 50-285 .M !l 8 l989 | |||
License No. ~ DPR-40 | |||
. | |||
. | |||
EA 89-64' | |||
- Omaha Public Power. District | |||
' | |||
ATIN: Kenneth' J. Morris,- Division Manager | |||
" | |||
. | |||
Nuclear Operations | |||
,.L444 South 16th Street Mall' | |||
: Omaha, Nebraska 68102-2247 | |||
Gentlemen: | |||
SUBJECT: . NOTICE OF VIOLATION (NRC INSPECTION REPORTS 50-285/89-10 | |||
AND 50-285/89-23) | |||
- This. refers to the NRC . inspections conducted during the periods February 27 | |||
. through March 3, 1989, and May 8-10, 1989, of activities authorized by.NRC | |||
Operating. License DPR.-40 for the Fort'Calhoun Station. These inspections | |||
focused'on certain areas of your physical security program, the details of.' | |||
which were presented in the referenced inspection reports dated March 24, | |||
1989,' and June 21,-1989. An enforcement conference was held'in the NRC | |||
' Region IV Office between Omaha Public Power District (OPPD) and NRC personnel | |||
. on April,12, 1989, during which the apparent violations from the first | |||
i inspection, their root causes, and your corrective actions were discussed. The | |||
inspection conducted May 8-10, 1989,-was specifically conducted to verify the | |||
effectiveness of the corrective actions discussed.in the enforcement conference | |||
- after the NRC' staff considered the additional information provided in the | |||
enforcement conference. | |||
NRC has considered each of.the apparent violations discussed in Inspection | |||
Report 50-285/89-10 in light of the information provided during the | |||
enforcement conference and OPPD's ongoing corrective action programs. 0ur | |||
conclusions regarding these issues are stated in the paragraphs that follow. | |||
' | |||
Violation A in the enclosed Notice of Violation involves the failure of the | |||
- Fort Calhoun physical security program to properly log and report certain i | |||
security incidents as required. The inspectors noted during the inspection | |||
:that'approximately fifty security incident reports were not recorded in the | |||
- quarterly logs as required by'10 CFR 73.71(c)(1). In addition, the inspectors | |||
noted that five security incident reports were not reported in I hour.as | |||
required by 10 CFR 73.71(b)(1). 'During the enforcement conference, OPPD | |||
agreed.that the~ security incident reports were not " logged" as required, but | |||
took issue with the NRC staff's conclusion that the five security incident | |||
reports.were required to be reported within one hour. . | |||
l | |||
l- The NRC staff has subsequently reviewed the information provided at the | |||
enforcement conference, and believes that three of the five security incident | |||
reports should have been reported within one hour as required. The fact that M | |||
, 8908290005 890818 | |||
PDR ADOCK 05000285 | |||
.Q. PDC | |||
) | |||
C | |||
- _ _ - . _ _ _ _ - _ - _ - | |||
, | |||
. . .-- | |||
, | |||
L( , d | |||
. = | |||
Omaha Public' Power District -2- | |||
an inadequate search at the Protected Area boundary may have allowed a weapon | |||
into the Protected Area should have, in;the NRC staff's view, been reported | |||
immediately upon identification of the potential .n-oblem. The failures to- | |||
report possible compromises of safeguards information represent the second and | |||
third examples-of the violation of "I hour" NRC reporting requirements. In | |||
accordance with the NRC Enforcement Policy, 10 CFR Part 2, Appendix C, these | |||
violations are being classified-as a Severity Level .IV problem. | |||
Violation B in the enclosed Notice of. Violation involves the potential entry of | |||
a weapon inside.the. Protected Area. As described in the.NRC inspection | |||
report, the security officer monitoring the X-ray machine saw what he thought' | |||
_ | |||
.was a small caliber pistol in the purse of a woman entering the site. | |||
However, the woman was able to obtain her badge and enter the plant because | |||
the officer failed to lock the turnstiles to prohibit entry into the Protected | |||
Area. Security personnel entered the plant, searched the personal effects of | |||
several women who entered at about that time, and made a judgenient that an | |||
item in the purse of one of the employees probably was what the officer saw | |||
when monitoring the X-ray machine. However, the plant was not searched and | |||
the. article found was not run through the X-ray machine to determine if, in | |||
fact, that.was the article that the officer saw. Thus, this is considered to | |||
be a Severity. Level IV violation of the licensee's commitments made in | |||
accordance with.10 CFR 73.55(d)(1) for the failure to adequately search | |||
individuals prior to allowing access into the protected areas. | |||
The NRC has examined the findings in the inspection report related to lock. | |||
and key control-in light of the additional information provided'in the | |||
enforcement' conference and the results of the May'8 - 10, 1989 inspecticn. A | |||
violation of=the licensee's commitments made in accordance with the | |||
requirements of 10'CFR 73.55(d)(9) will not be cited in accordance with | |||
10 CFR Part 2, Appendix C, Section V.G.1 because of the extensive actions | |||
taken by OPPD since January 1989 and because 1) the violations were identified | |||
by OPPD; 2) occurred from September 1, 1988, to January 24, 1989; and 3) were | |||
being evaluated and corrected by an on going, thorough corrective action | |||
program at the time of the inspection. The NRC staff also recognizes the | |||
extensive reduction in issuance of key sets from forty sets a day when these | |||
violations' occurred to eleven sets a day by January 1989. | |||
The NRC staff has also considered the actions taken by OPPD involving | |||
compensatory measures. 10 CFR 73.55(g)(1) requires that the licensee employ | |||
compensatory measures to assure that the effectiveness of the security system | |||
is not reduced by the failure of related equipment. Although many of the | |||
issues noted by the inspectors occurred in the latter part of 1988, each was | |||
identified by OPPD and were the subject of corrective actions in the area of | |||
compensatory measures initiated in July 1988. Additional measures were being | |||
implemented at the time of the NRC inspection, and although complicated by a | |||
change in security contractors in February 1989, were part of an on going | |||
program that recognized the problem of inattentive security officers. For | |||
these reasons, the NRC staff has decided r.ot to cite a violation of the | |||
_1 _ _ _ _. _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ - . _ _ _ _ _ _ _ _ -. - . _ _ _ .I | |||
_ - _ - _ _ | |||
. | |||
. | |||
. | |||
. | |||
Omaha Public Power District -3- | |||
licensee's commitments made in accordance with 10 CFR 73.55(g)(1) in this | |||
case as provided for by 10 CFR Part 2, Appendix C, Section V.G.I. However, | |||
the NRC staff will continue to closely monitor OPPD actions in this area until | |||
the security system replacement is completed. | |||
OPPD had also identified a number of issues with respect to the Fort Calhoun | |||
Station access control program which were noted in the inspection report. | |||
These issues should be addressed in your reply to this letter and Notice of | |||
Violation and you should describe your actions to provide additional assurance | |||
that they will not recur. To the extent that you have already addressed these | |||
issues in previous correspondence, you may refer to that correspondence in | |||
responding to this request. | |||
A decision has not yet been reached by the NRC staff regarding the failures to | |||
adequately protect safeguards information from possible compromises as | |||
required by 10 CFR 73.21. Because a recent problem involving protection of | |||
safeguards information may be relevant to this issue, Fort Calhoun Station | |||
will be notified by separate correspondence of NRC's enforcement action | |||
regarding the protection of safeguards information. | |||
The information provided at the enforcement conference differed substantially | |||
from the conclusions of the inspectors during the first inspection. As | |||
indicated in the NRC inspection report, most of the details provided were taken | |||
from Fort Calhoun Station security incident reports, particularly those details | |||
involving potentially significant violations. Although you indicated that a | |||
number of these issues were raised during the inspection, much of this | |||
information should have been provided to the NRC at the exit briefing on | |||
March 3, 1989, at the conclusion of the first inspection, or shortly | |||
thereafter. Licensees are expected to promptly provide information to the | |||
NRC when facts relevant to significant issues differ. Although there are time | |||
constraints during the conduct of NRC inspections, it is important that | |||
relevant information be provided as soon as possible so that these matters may | |||
be resolved. | |||
Furthermore, the disparity between some of the facts in the inspection report | |||
and those presented in the enforcement conference by OPPD reflect on the | |||
technical accuracy of your security incident reports. Those charged with the | |||
responsibility of recording facts on security incident reports at Fort Calhoun | |||
Station should pay strict attention to detail to ensure that facts relevant to | |||
a specific event are both accurate and complete. | |||
After a review of the findings of these inspections, and in consideration of | |||
the differences between the facts as presented in the inspection report and | |||
those later brought to the NRC's attention at the Enforcement Conference, the | |||
NRC has concluded that only those violations in the enclosed Notice are | |||
appropriate at this time. | |||
In accordance with Section 2.790 of the NRC's " Rules of Practice," Part 2, | |||
Title 10, Code of Federal Regulations, a copy of this letter and its enclosure | |||
will be placed in the NRC Public Document Room. | |||
_ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ | |||
- - - - | |||
., | |||
.- ., | |||
. | |||
Omaha Public Power District -4- | |||
You are required to respond to the enclosed Notice and should' address the | |||
corrective actions taken to prevent recurrence of the violations cited in the | |||
Notice. In your response, you should also describe what actions have been- | |||
taken to ensure that the issues identified in the inspection reports related. | |||
to the access control program do not result in violations. | |||
i | |||
The responses directed by this letter and the accompanying Notice are not I | |||
subject to the clearance procedures of the Office of Management and Budget as i | |||
required by the Paperwork Reduction Act of 1980, PL 96-511. . | |||
! | |||
Sincerely, ! | |||
) ~ | |||
4. ; | |||
James L. Milhoan, Director .; | |||
31 vision of Reactor Projects | |||
Enclosure: | |||
Appendix - Notice of Violation | |||
cc w/ enclosure: | |||
Fort Calhoun Station | |||
ATTN: G. R. Peterson, Manager | |||
P.O. Box 399 | |||
Fort Calhoun, Nebraska 68023 | |||
Harry H. Voigt, Esq. | |||
LeBoeuf Lamb, Leiby & MacRae | |||
1333 New Hampshire Avenue, NW | |||
Washington, DC 20036 | |||
Nebraska Radiation Control Program Director | |||
Omaha Public Power District - Fort Calhoun | |||
l | |||
NRC Public Document Room | |||
' | |||
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I,'' DISTRIBUTION' - | |||
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, | |||
; .bcc w/ enclosure:- - | |||
.RIV. Security File; r | |||
k> . P. A.:Starcher, RSGB/NRR , | |||
< . -R.:D., Martin, RA'- | |||
LB. Beach,~DRSS: ' | |||
I *.~ ~ Chief, RPB .. | |||
, | |||
' | |||
' | |||
E =Section. Chief, SEPS:RPB , | |||
"> | |||
i Security Inspector:' | |||
; Resident Inspector" | |||
SEPS:RPB File- o- | |||
'' | |||
;G~. F.-.Sanborn, E0 ' | |||
D. M.:Crutchfield,.NRR: | |||
: .J. Lieberman, D/0E- | |||
DRP:, , | |||
. . u | |||
Lisa Shea,~RM/ALF'. . .' | |||
- | |||
3 | |||
Section Chief, DRP/B- | |||
' | |||
, | |||
, | |||
RIV. File' | |||
MIS: | |||
x RSTS Operator . | |||
- | |||
E Project Engineer, DRP/B | |||
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- | |||
_________-______---_D | |||
}} |
Latest revision as of 21:44, 31 January 2022
ML20246E079 | |
Person / Time | |
---|---|
Site: | Fort Calhoun |
Issue date: | 08/18/1989 |
From: | Milhoan J NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
To: | Morris K OMAHA PUBLIC POWER DISTRICT |
Shared Package | |
ML20246E081 | List: |
References | |
EA-89-064, EA-89-64, NUDOCS 8908290005 | |
Download: ML20246E079 (5) | |
See also: IR 05000285/1989010
Text
. , _ .-
4
! ' ' g 0 e
of j '% UNITED STATES
M .. NUCLEAR REGULATORY COMMISSION .
s
'
REGION IV
-
-
811 RYAN PLAZA DRIVE. SulTE 1000 J
ARLINGTON. TEXAS 70011;
.
.
,
1
' '
'
In ReplyLRefer To:
- Docket'No. 50-285 .M !l 8 l989
License No. ~ DPR-40
.
.
EA 89-64'
- Omaha Public Power. District
'
ATIN: Kenneth' J. Morris,- Division Manager
"
.
Nuclear Operations
,.L444 South 16th Street Mall'
- Omaha, Nebraska 68102-2247
Gentlemen:
SUBJECT: . NOTICE OF VIOLATION (NRC INSPECTION REPORTS 50-285/89-10
AND 50-285/89-23)
- This. refers to the NRC . inspections conducted during the periods February 27
. through March 3, 1989, and May 8-10, 1989, of activities authorized by.NRC
Operating. License DPR.-40 for the Fort'Calhoun Station. These inspections
focused'on certain areas of your physical security program, the details of.'
which were presented in the referenced inspection reports dated March 24,
1989,' and June 21,-1989. An enforcement conference was held'in the NRC
' Region IV Office between Omaha Public Power District (OPPD) and NRC personnel
. on April,12, 1989, during which the apparent violations from the first
i inspection, their root causes, and your corrective actions were discussed. The
inspection conducted May 8-10, 1989,-was specifically conducted to verify the
effectiveness of the corrective actions discussed.in the enforcement conference
- after the NRC' staff considered the additional information provided in the
enforcement conference.
NRC has considered each of.the apparent violations discussed in Inspection
Report 50-285/89-10 in light of the information provided during the
enforcement conference and OPPD's ongoing corrective action programs. 0ur
conclusions regarding these issues are stated in the paragraphs that follow.
'
Violation A in the enclosed Notice of Violation involves the failure of the
- Fort Calhoun physical security program to properly log and report certain i
security incidents as required. The inspectors noted during the inspection
- that'approximately fifty security incident reports were not recorded in the
- quarterly logs as required by'10 CFR 73.71(c)(1). In addition, the inspectors
noted that five security incident reports were not reported in I hour.as
required by 10 CFR 73.71(b)(1). 'During the enforcement conference, OPPD
agreed.that the~ security incident reports were not " logged" as required, but
took issue with the NRC staff's conclusion that the five security incident
reports.were required to be reported within one hour. .
l
l- The NRC staff has subsequently reviewed the information provided at the
enforcement conference, and believes that three of the five security incident
reports should have been reported within one hour as required. The fact that M
, 8908290005 890818
PDR ADOCK 05000285
.Q. PDC
)
C
- _ _ - . _ _ _ _ - _ - _ -
,
. . .--
,
L( , d
. =
Omaha Public' Power District -2-
an inadequate search at the Protected Area boundary may have allowed a weapon
into the Protected Area should have, in;the NRC staff's view, been reported
immediately upon identification of the potential .n-oblem. The failures to-
report possible compromises of safeguards information represent the second and
third examples-of the violation of "I hour" NRC reporting requirements. In
accordance with the NRC Enforcement Policy, 10 CFR Part 2, Appendix C, these
violations are being classified-as a Severity Level .IV problem.
Violation B in the enclosed Notice of. Violation involves the potential entry of
a weapon inside.the. Protected Area. As described in the.NRC inspection
report, the security officer monitoring the X-ray machine saw what he thought'
_
.was a small caliber pistol in the purse of a woman entering the site.
However, the woman was able to obtain her badge and enter the plant because
the officer failed to lock the turnstiles to prohibit entry into the Protected
Area. Security personnel entered the plant, searched the personal effects of
several women who entered at about that time, and made a judgenient that an
item in the purse of one of the employees probably was what the officer saw
when monitoring the X-ray machine. However, the plant was not searched and
the. article found was not run through the X-ray machine to determine if, in
fact, that.was the article that the officer saw. Thus, this is considered to
be a Severity. Level IV violation of the licensee's commitments made in
accordance with.10 CFR 73.55(d)(1) for the failure to adequately search
individuals prior to allowing access into the protected areas.
The NRC has examined the findings in the inspection report related to lock.
and key control-in light of the additional information provided'in the
enforcement' conference and the results of the May'8 - 10, 1989 inspecticn. A
violation of=the licensee's commitments made in accordance with the
requirements of 10'CFR 73.55(d)(9) will not be cited in accordance with
10 CFR Part 2, Appendix C, Section V.G.1 because of the extensive actions
taken by OPPD since January 1989 and because 1) the violations were identified
by OPPD; 2) occurred from September 1, 1988, to January 24, 1989; and 3) were
being evaluated and corrected by an on going, thorough corrective action
program at the time of the inspection. The NRC staff also recognizes the
extensive reduction in issuance of key sets from forty sets a day when these
violations' occurred to eleven sets a day by January 1989.
The NRC staff has also considered the actions taken by OPPD involving
compensatory measures. 10 CFR 73.55(g)(1) requires that the licensee employ
compensatory measures to assure that the effectiveness of the security system
is not reduced by the failure of related equipment. Although many of the
issues noted by the inspectors occurred in the latter part of 1988, each was
identified by OPPD and were the subject of corrective actions in the area of
compensatory measures initiated in July 1988. Additional measures were being
implemented at the time of the NRC inspection, and although complicated by a
change in security contractors in February 1989, were part of an on going
program that recognized the problem of inattentive security officers. For
these reasons, the NRC staff has decided r.ot to cite a violation of the
_1 _ _ _ _. _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ - . _ _ _ _ _ _ _ _ -. - . _ _ _ .I
_ - _ - _ _
.
.
.
.
Omaha Public Power District -3-
licensee's commitments made in accordance with 10 CFR 73.55(g)(1) in this
case as provided for by 10 CFR Part 2, Appendix C, Section V.G.I. However,
the NRC staff will continue to closely monitor OPPD actions in this area until
the security system replacement is completed.
OPPD had also identified a number of issues with respect to the Fort Calhoun
Station access control program which were noted in the inspection report.
These issues should be addressed in your reply to this letter and Notice of
Violation and you should describe your actions to provide additional assurance
that they will not recur. To the extent that you have already addressed these
issues in previous correspondence, you may refer to that correspondence in
responding to this request.
A decision has not yet been reached by the NRC staff regarding the failures to
adequately protect safeguards information from possible compromises as
required by 10 CFR 73.21. Because a recent problem involving protection of
safeguards information may be relevant to this issue, Fort Calhoun Station
will be notified by separate correspondence of NRC's enforcement action
regarding the protection of safeguards information.
The information provided at the enforcement conference differed substantially
from the conclusions of the inspectors during the first inspection. As
indicated in the NRC inspection report, most of the details provided were taken
from Fort Calhoun Station security incident reports, particularly those details
involving potentially significant violations. Although you indicated that a
number of these issues were raised during the inspection, much of this
information should have been provided to the NRC at the exit briefing on
March 3, 1989, at the conclusion of the first inspection, or shortly
thereafter. Licensees are expected to promptly provide information to the
NRC when facts relevant to significant issues differ. Although there are time
constraints during the conduct of NRC inspections, it is important that
relevant information be provided as soon as possible so that these matters may
be resolved.
Furthermore, the disparity between some of the facts in the inspection report
and those presented in the enforcement conference by OPPD reflect on the
technical accuracy of your security incident reports. Those charged with the
responsibility of recording facts on security incident reports at Fort Calhoun
Station should pay strict attention to detail to ensure that facts relevant to
a specific event are both accurate and complete.
After a review of the findings of these inspections, and in consideration of
the differences between the facts as presented in the inspection report and
those later brought to the NRC's attention at the Enforcement Conference, the
NRC has concluded that only those violations in the enclosed Notice are
appropriate at this time.
In accordance with Section 2.790 of the NRC's " Rules of Practice," Part 2,
Title 10, Code of Federal Regulations, a copy of this letter and its enclosure
will be placed in the NRC Public Document Room.
_ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
- - - -
.,
.- .,
.
Omaha Public Power District -4-
You are required to respond to the enclosed Notice and should' address the
corrective actions taken to prevent recurrence of the violations cited in the
Notice. In your response, you should also describe what actions have been-
taken to ensure that the issues identified in the inspection reports related.
to the access control program do not result in violations.
i
The responses directed by this letter and the accompanying Notice are not I
subject to the clearance procedures of the Office of Management and Budget as i
required by the Paperwork Reduction Act of 1980, PL 96-511. .
!
Sincerely, !
) ~
4. ;
James L. Milhoan, Director .;
31 vision of Reactor Projects
Enclosure:
Appendix - Notice of Violation
cc w/ enclosure:
Fort Calhoun Station
ATTN: G. R. Peterson, Manager
P.O. Box 399
Fort Calhoun, Nebraska 68023
Harry H. Voigt, Esq.
LeBoeuf Lamb, Leiby & MacRae
1333 New Hampshire Avenue, NW
Washington, DC 20036
Nebraska Radiation Control Program Director
Omaha Public Power District - Fort Calhoun
l
NRC Public Document Room
'
f :! .
+
'
b! ?
'
z
p'3P+ [', , _; ; -
.
, [ '
$~
e, n;
.x 4 .. ,
,
, .
.
7,
'
,
.
4,
(,
'
\ '
I! ';:p i ,
,
- ' "
l;, ,
l4
.
, ._ __ _,
-5-
_
,
Omaha.Public Power District ,
Tggg;y g lggg
'
c ,
I, DISTRIBUTION' -
> N
- ,
,
,
- .bcc w/ enclosure
- - -
.RIV. Security File; r
k> . P. A.:Starcher, RSGB/NRR ,
< . -R.:D., Martin, RA'-
LB. Beach,~DRSS: '
I *.~ ~ Chief, RPB ..
,
'
'
E =Section. Chief, SEPS:RPB ,
">
i Security Inspector:'
- Resident Inspector"
SEPS:RPB File- o-
- G~. F.-.Sanborn, E0 '
D. M.:Crutchfield,.NRR:
- .J. Lieberman, D/0E-
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