Information Notice 2012-10, Recent Issues Associated with Submittal of NRC Form 396, Certification of Medical Examination by Facility Licensee, for Applicants and Licensed Operators at Non-Power Reactors: Difference between revisions

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| issue date = 07/16/2012
| issue date = 07/16/2012
| title = Recent Issues Associated with Submittal of NRC Form 396, Certification of Medical Examination by Facility Licensee, for Applicants and Licensed Operators at Non-Power Reactors
| title = Recent Issues Associated with Submittal of NRC Form 396, Certification of Medical Examination by Facility Licensee, for Applicants and Licensed Operators at Non-Power Reactors
| author name = McGinty T J
| author name = Mcginty T
| author affiliation = NRC/NRR/DPR/PRAB
| author affiliation = NRC/NRR/DPR/PRAB
| addressee name =  
| addressee name =  
Line 9: Line 9:
| docket =  
| docket =  
| license number =  
| license number =  
| contact person = Young P T
| contact person = Young P
| document report number = IN-12-010
| document report number = IN-12-010
| document type = NRC Information Notice
| document type = NRC Information Notice
| page count = 7
| page count = 7
}}
}}
{{#Wiki_filter:ML12153A001 UNITED STATES NUCLEAR REGULATORY COMMISSION OFFICE OF NUCLEAR REACTOR REGULATION WASHINGTON, DC  20555-0001  July 16, 2012  NRC INFORMATION NOTICE 2012-10: RECENT ISSUES ASSOCIATED WITH SUBMITTAL OF NRC FORM 396, CERTIFICATION OF MEDICAL EXAMINATION BY
{{#Wiki_filter:UNITED STATES


FACILITY LICENSEE, FOR APPLICANTS AND LICENSED OPERATORS AT NON-POWER REACTORS
NUCLEAR REGULATORY COMMISSION
 
OFFICE OF NUCLEAR REACTOR REGULATION
 
WASHINGTON, DC 20555-0001 July 16, 2012 NRC INFORMATION NOTICE 2012-10:                    RECENT ISSUES ASSOCIATED WITH
 
SUBMITTAL OF NRC FORM 396, CERTIFICATION OF MEDICAL EXAMINATION BY
 
FACILITY LICENSEE, FOR APPLICANTS AND
 
LICENSED OPERATORS AT NON-POWER
 
REACTORS


==ADDRESSEES==
==ADDRESSEES==
All holders of operating licenses for non-power reactors under Title 10 of the Code of Federal Regulations (10 CFR) Part 50, "Domestic Licensing of Production and Utilization Facilities," except those who have permanently ceased operations and have returned all of their fuel to the U.S. Department of Energy, and all applicants and holders of non-power reactor operator and senior operator licenses issued under 10 CFR Part 55, "Operators' Licenses.
All holders of operating licenses for non-power reactors under Title 10 of the Code of Federal
 
Regulations (10 CFR) Part 50, Domestic Licensing of Production and Utilization Facilities, except those who have permanently ceased operations and have returned all of their fuel to the
 
U.S. Department of Energy, and all applicants and holders of non-power reactor operator and
 
senior operator licenses issued under 10 CFR Part 55, Operators Licenses.


==PURPOSE==
==PURPOSE==
The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform addressees about recent issues on the completeness of information required in the "Certification of Medical Examination by Facility Licensee" (NRC Form 396) to meet NRC medical requirements for applicants and holders of operator and senior operator licenses (referred to collectively as "operators"). The NRC expects recipients to review the information contained in this IN for applicability to their facilities and operators and consider actions, as appropriate, to avoid similar issues. Suggestions contained in this IN are not NRC requirements. Therefore, no specific action or written response is required.
The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform
 
addressees about recent issues on the completeness of information required in the Certification
 
of Medical Examination by Facility Licensee (NRC Form 396) to meet NRC medical
 
requirements for applicants and holders of operator and senior operator licenses (referred to
 
collectively as operators). The NRC expects recipients to review the information contained in
 
this IN for applicability to their facilities and operators and consider actions, as appropriate, to
 
avoid similar issues. Suggestions contained in this IN are not NRC requirements. Therefore, no specific action or written response is required.


==DESCRIPTION OF CIRCUMSTANCES==
==DESCRIPTION OF CIRCUMSTANCES==
Recently, some facilities have failed to adequately inform the NRC of (1) changes in medical status of licensed individuals, or (2) medical conditions on license applications. Additionally, some facilities have not ensured the examining medical official's information was included on the NRC Form 396 and may not always ensure medical staff are familiar with the medical requirements of 10 CFR Part 55.  This has resulted in delays in the issuance of operator licenses, in some cases for extended periods of time, while the errors were resolved.  The following examples describe these issues:
Recently, some facilities have failed to adequately inform the NRC of (1) changes in medical
* In January 2011, a facility submitted an NRC Form 396 with a license application that did not provide the required explanation or medical evidence on an identified medical condition to allow review by NRC physicians.
 
status of licensed individuals, or (2) medical conditions on license applications. Additionally, some facilities have not ensured the examining medical officials information was included on


* In March 2011, a facility submitted five NRC Form 396s for applicants scheduled to take an NRC license examination. Two of the submittals were incomplete because of the following: (1) Block 5, "Must take medication as prescribed to maintain medical qualifications," was selected, but the required explanation or medical evidence was not provided, and (2) Block 5, "Must take medication as prescribed to maintain medical qualifications," and Block 6, "Must submit medical status report every 3 months," were
the NRC Form 396 and may not always ensure medical staff are familiar with the medical
 
requirements of 10 CFR Part 55. This has resulted in delays in the issuance of operator
 
licenses, in some cases for extended periods of time, while the errors were resolved. The
 
following examples describe these issues:
*        In January 2011, a facility submitted an NRC Form 396 with a license application that did
 
not provide the required explanation or medical evidence on an identified medical
 
condition to allow review by NRC physicians.
 
*       In March 2011, a facility submitted five NRC Form 396s for applicants scheduled to take
 
an NRC license examination. Two of the submittals were incomplete because of the
 
following: (1) Block 5, Must take medication as prescribed to maintain medical
 
ML12153A001 qualifications, was selected, but the required explanation or medical evidence was not
 
provided, and (2) Block 5, Must take medication as prescribed to maintain medical
 
qualifications, and Block 6, Must submit medical status report every 3 months, were


selected, but the required explanations or medical evidence were not provided.
selected, but the required explanations or medical evidence were not provided.


* In August 2011, a facility submitted an NRC Form 396 with "No Restrictions" selected. The operator listed on the form had a change in medical status from the operator's previously submitted NRC Form 396 that showed, "Corrective lenses be worn when Performing Licensed Duties.The facility should have checked Box 9, "Restriction change from previous submittal," and provided the required explanation or medical
*       In August 2011, a facility submitted an NRC Form 396 with No Restrictions selected.
 
The operator listed on the form had a change in medical status from the operators
 
previously submitted NRC Form 396 that showed, Corrective lenses be worn when
 
Performing Licensed Duties. The facility should have checked Box 9, Restriction
 
change from previous submittal, and provided the required explanation or medical


evidence to support the change.
evidence to support the change.


* In 2010 and 2011, several facilities submitted NRC Form 396s that did not include the licensed physician's information as the examining medical official.
*       In 2010 and 2011, several facilities submitted NRC Form 396s that did not include the
 
licensed physicians information as the examining medical official.
 
*      In January 2012, a facility submitted a request for a senior operator - upgrade
 
examination for an applicant. The NRC Form 396 submitted with the request did not


* In January 2012, a facility submitted a request for a senior operator - upgrade examination for an applicant.  The NRC Form 396 submitted with the request did not reflect the medical condition requirements stated on the reactor operator license issued in 2011.  Communications with the facility and applicant revealed that the applicant's original diagnosis requiring a license condition restriction was determined to be an error.  Additionally, a subsequent diagnosis by the applicant's personal physician should have required a different medical condition restriction.  The facility had not reported the change in medical condition when it occurred, and did not include the required explanation or evidence with the new NRC Form 396.
reflect the medical condition requirements stated on the reactor operator license issued


* In February 2012, a facility submitted five NRC Form 396s for applicants scheduled to take an NRC license examination. Some of the submitted applications contained attachments as a checklist used during the medical examination.  Four of the submittals
in 2011. Communications with the facility and applicant revealed that the applicants


were incomplete with the following problems:  1. Two of the submittals indicated that the hearing test conducted consisted of speaking and whispering.  Section 7.2.4(1) of American Nuclear Standards Institute/American Nuclear Society (ANSI/ANS)-15.4-2007 has specific requirements for hearing ability and the standard allows the method used to test the applicant if the audiometric scores are unacceptable.  The examining physician did not explain if the required puretone audiometric scores were outside the normal range requiring the use of the exception.
original diagnosis requiring a license condition restriction was determined to be an error.


2. One submittal indicated that an applicant had been treated for a potentially disqualifying condition and had been under a physician's care for approximately 5 years for this condition. The examining certifying physician did not reference the status of the condition, nor did the physician acknowledge whether the applicant was on any continuing medication regimen to control the condition.   3. One submitted NRC Form 396 did not include the licensed physician's information as the examining medical official.   Of the facilities with multiple NRC Form 396 errors, a common trait was that several different doctors performed physical examinations who may or may not have been familiar with the ANSI Standards.
Additionally, a subsequent diagnosis by the applicants personal physician should have
 
required a different medical condition restriction. The facility had not reported the
 
change in medical condition when it occurred, and did not include the required
 
explanation or evidence with the new NRC Form 396.
 
*      In February 2012, a facility submitted five NRC Form 396s for applicants scheduled to
 
take an NRC license examination. Some of the submitted applications contained
 
attachments as a checklist used during the medical examination. Four of the submittals
 
were incomplete with the following problems:
        1.      Two of the submittals indicated that the hearing test conducted consisted of
 
speaking and whispering. Section 7.2.4(1) of American
 
Nuclear Standards Institute/American Nuclear Society (ANSI/ANS)-15.4-2007 has specific requirements for hearing ability and the standard allows the method
 
used to test the applicant if the audiometric scores are unacceptable. The
 
examining physician did not explain if the required puretone audiometric scores
 
were outside the normal range requiring the use of the exception.
 
2.       One submittal indicated that an applicant had been treated for a potentially
 
disqualifying condition and had been under a physicians care for approximately
 
5 years for this condition. The examining certifying physician did not reference
 
the status of the condition, nor did the physician acknowledge whether the
 
applicant was on any continuing medication regimen to control the condition.
 
3.       One submitted NRC Form 396 did not include the licensed physicians
 
information as the examining medical official.
 
Of the facilities with multiple NRC Form 396 errors, a common trait was that several different
 
doctors performed physical examinations who may or may not have been familiar with the ANSI
 
Standards.


==BACKGROUND==
==BACKGROUND==
Related NRC Generic Communications  NRC IN 2009-21, "Incomplete Medical Testing for Licensed Operators," dated September 30, 2009, (Agencywide Documents Access and Management System (ADAMS) Accession No. ML092520457).


NRC IN 2004-20, "Recent Issues Associated with NRC Medical Requirements for Licensed Operators," dated November 24, 2004, (ADAMS Accession No. ML042510509). NRC IN 1994-14, "Failure to Implement Requirements for Biennial Medical Examinations and Notification to the NRC of Changes in Licensed Operator Medical Conditions," dated February 24, 1994 (ADAMS Accession No. ML031060622), and Supplement 1, dated April 14, 1997 (ADAMS Accession No. ML031060468).
===Related NRC Generic Communications===
NRC IN 2009-21, Incomplete Medical Testing for Licensed Operators, dated
 
September 30, 2009, (Agencywide Documents Access and Management System (ADAMS)
Accession No. ML092520457).
 
NRC IN 2004-20, Recent Issues Associated with NRC Medical Requirements for Licensed
 
Operators, dated November 24, 2004, (ADAMS Accession No. ML042510509).
 
NRC IN 1994-14, Failure to Implement Requirements for Biennial Medical Examinations and
 
Notification to the NRC of Changes in Licensed Operator Medical Conditions, dated
 
February 24, 1994 (ADAMS Accession No. ML031060622), and Supplement 1, dated
 
April 14, 1997 (ADAMS Accession No. ML031060468).
 
NRC IN 1991-08, Medical Examinations for Licensed Operators, dated February 5, 1991 (ADAMS Accession No. ML031190668).


NRC IN 1991-08, "Medical Examinations for Licensed Operators," dated February 5, 1991 (ADAMS Accession No. ML031190668).  General questions applicable to medical issues and the NRC Form 396 can be found at
General questions applicable to medical issues and the NRC Form 396 can be found at


http://www.nrc.gov/reactors/operator-licensing/op-licensing-files/ol-feedback.pdf.
http://www.nrc.gov/reactors/operator-licensing/op-licensing-files/ol-feedback.pdf.


==DISCUSSION==
==DISCUSSION==
Regulatory Basis of Licensed Operator Medical Requirements The NRC's requirements related to the conduct and documentation of medical examinations for operators are contained in Subpart C, "Medical Requirements," of 10 CFR Part 55, "Operators' Licenses.Specifically, 10 CFR 55.21, "Medical Examination," requires every operator to be examined by a physician when he or she first applies for a license and every 2 years thereafter.
Regulatory Basis of Licensed Operator Medical Requirements
 
The NRCs requirements related to the conduct and documentation of medical examinations for
 
operators are contained in Subpart C, Medical Requirements, of 10 CFR Part 55, Operators
 
Licenses. Specifically, 10 CFR 55.21, Medical Examination, requires every operator to be
 
examined by a physician when he or she first applies for a license and every 2 years thereafter.
 
The physician must determine whether the operator meets the requirements of Subpart D,
Applications, of 10 CFR 55.33(a)(1), Health, (i.e., the operators medical condition and
 
general health will not adversely affect the performance of assigned operator duties or cause
 
operational errors that endanger public health and safety). When an operator applies for or
 
renews a license pursuant to 10 CFR 55.31, How to Apply, or Subpart D of 10 CFR 55.57, Renewal of Licenses, an authorized representative of the facility licensee must complete and
 
sign NRC Form 396 pursuant to Subpart C of 10 CFR 55.23, Certification, certifying that a
 
physician has conducted the required medical examination and determined that the operators
 
medical condition and general health meet the requirements of 10 CFR 55.33(a)(1).
 
The facility licensee must also certify which industry standard (i.e., the 1988 or 2007 version of
 
ANSI/ANS-15.4, Selection and Training of Personnel for Research Reactors, the 1983 or 1996 version of ANSI/ANS-3.4, Medical Certification and Monitoring of Personnel Requiring Operator
 
Licenses for Nuclear Power Plants, or other guidance that may be approved by the NRC) was
 
used in making the medical determination.
 
The ANSI standards describe a number of specific operator minimum medical requirements and
 
disqualifying conditions. If an operator's medical status does not meet the minimum standards, the facility licensee must request a conditional license in accordance with 10 CFR 55.23(b) by
 
submitting the appropriate medical explanation and evidence on or attached to NRC Form 396.
 
Pursuant to 10 CFR 55.33, Disposition of an Initial Application, and Subpart F, Licenses, of 10 CFR 55.57, the Commission will review the license application based on requested
 
restrictions and supporting explanations or medical evidence.
 
Subpart C of 10 CFR 55.27, Documentation, requires the facility licensee to document and
 
maintain the medical qualifications data, test results, and each operators medical history. In
 
addition, 10 CFR 55.27 requires the facility licensee to retain each operators medical history for
 
the current license period and provide that information to the NRC upon request.
 
Medical information must be sent to the NRC: (1) as part of an initial, upgrade, or renewal
 
application per 10 CFR 55.31(6) and 55.57(6) and (2) if, at any time during the term of an
 
operators license, the operator develops a permanent physical or mental condition that causes
 
the operator to fail to meet the requirements of 10 CFR 55.21. The facility licensee must notify
 
the Commission, pursuant to 10 CFR 55.25, Incapacitation Because of Disability or Illness, and 10 CFR 50.74(c) within 30 days of learning of the diagnosis. If a conditional license is
 
requested, the facility licensee must forward the requested restriction and medical evidence and
 
explanation on NRC Form 396, as described in 10 CFR 55.23. The facility must maintain that
 
medical evidence pursuant to 10 CFR 55.27.
 
In addition to the other requirements under Subpart F, Licenses, of 10 CFR 55.53, Conditions
 
of Licenses, including 10 CFR 55.53(g) and (k), the licensed operator or applicant must notify
 
the facility licensee of any change in medical or psychological status including, but not limited to, new medications and change in medications or treatment regimen. The licensed operator or
 
applicant shall provide any medical records that the designated medical examiner deems


The physician must determine whether the operator meets the requirements of Subpart D, "Applications," of 10 CFR 55.33(a)(1), "Health," (i.e., the operator's medical condition and general health will not adversely affect the performance of assigned operator duties or cause operational errors that endanger public health and safety).  When an operator applies for or renews a license pursuant to 10 CFR 55.31, "How to Apply," or Subpart D of 10 CFR 55.57,
necessary to complete the medical examination.
"Renewal of Licenses," an authorized representative of the facility licensee must complete and sign NRC Form 396 pursuant to Subpart C of 10 CFR 55.23, "Certification," certifying that a physician has conducted the required medical examination and determined that the operator's medical condition and general health meet the requirements of 10 CFR 55.33(a)(1).  The facility licensee must also certify which industry standard (i.e., the 1988 or 2007 version of ANSI/ANS-15.4, "Selection and Training of Personnel for Research Reactors," the 1983 or 1996 version of ANSI/ANS-3.4, "Medical Certification and Monitoring of Personnel Requiring Operator Licenses for Nuclear Power Plants," or "other" guidance that may be approved by the NRC) was used in making the medical determination.  The ANSI standards describe a number of specific operator minimum medical requirements and


disqualifying conditions.  If an operator's medical status does not meet the minimum standards, the facility licensee must request a conditional license in accordance with 10 CFR 55.23(b) by submitting the appropriate medical explanation and evidence on or attached to NRC Form 396. Pursuant to 10 CFR 55.33, "Disposition of an Initial Application," and Subpart F, "Licenses," of 10 CFR 55.57, the Commission will review the license application based on requested restrictions and supporting explanations or medical evidence.
NRC Form 396 requires the signature of the senior management representative onsite, and by


Subpart C of 10 CFR 55.27, "Documentation," requires the facility licensee to document and maintain the medical qualifications data, test results, and each operator's medical history.  In addition, 10 CFR 55.27 requires the facility licensee to retain each operator's medical history for the current license period and provide that information to the NRC upon request.
signing the NRC Form 396, the facility certifies that the guidance identified was followed in


Medical information must be sent to the NRC:  (1) as part of an initial, upgrade, or renewal application per 10 CFR 55.31(6) and 55.57(6) and (2) if, at any time during the term of an operator's license, the operator develops a permanent physical or mental condition that causes the operator to fail to meet the requirements of 10 CFR 55.21.  The facility licensee must notify the Commission, pursuant to 10 CFR 55.25, "Incapacitation Because of Disability or Illness," and 10 CFR 50.74(c) within 30 days of learning of the diagnosis.  If a conditional license is requested, the facility licensee must forward the requested restriction and medical evidence and
determining the medical fitness of an operator for non-power reactors. This is subject to the


explanation on NRC Form 396, as described in 10 CFR 55.23.  The facility must maintain that medical evidence pursuant to 10 CFR 55.27.  In addition to the other requirements under Subpart F, "Licenses," of 10 CFR 55.53, "Conditions of Licenses," including 10 CFR 55.53(g) and (k), the licensed operator or applicant must notify
requirements of 10 CFR 50.9, Completeness and Accuracy of Information. Any material false


the facility licensee of any change in medical or psychological status including, but not limited to, new medications and change in medications or treatment regimen.  The licensed operator or applicant shall provide any medical records that the designated medical examiner deems necessary to complete the medical examination.
statement or omission on an NRC Form 396, including attachments, may represent a violation


NRC Form 396 requires the signature of the senior management representative onsite, and by signing the NRC Form 396, the facility certifies that the guidance identified was followed in
of NRC requirements that could lead to enforcement action.


determining the medical fitness of an operator for non-power reactors.  This is subject to the requirements of 10 CFR 50.9, "Completeness and Accuracy of Information."  Any material false statement or omission on an NRC Form 396, including attachments, may represent a violation of NRC requirements that could lead to enforcement action.  CONCLUSION
CONCLUSION


A successful submission of NRC Form 396 for applications or renewals contains the following attributes, in part:
A successful submission of NRC Form 396 for applications or renewals contains the following
* If requesting a restriction or removal of a restriction, include a complete and concise explanation and provide appropriate medical evidence, as explicitly stated on the form in the restrictions section.


* Use the provided block on NRC Form 396 to clearly link the proposed restriction to the guidance standard's disqualifying condition (e.g., ANSI/ANS-15.4 or 3.4).
attributes, in part:
*       If requesting a restriction or removal of a restriction, include a complete and concise


* When proposing an "other" restriction or exception (Box 9 on NRC Form 396), use the "proposed wording of restriction" block to clearly state what the license condition should say to ensure there is no misunderstanding.
explanation and provide appropriate medical evidence, as explicitly stated on the form in


* If medical information is being submitted as "information only," indicate such by checking Box 11 on NRC Form 396.  Use the "explanation" block or clearly indicate in attached correspondence whether there is a relationship to ANSI/ANS-15.4 or 3.4 or other guidance standard disqualifying condition.  If a guidance standard condition is involved, clearly state the impact (or absence thereof) of the information on the individual's qualification relative to that condition. If not related to a specific guidance standard
the restrictions section.


disqualifying condition but to a medication, include a statement that addresses the name and strength of the medication and the dosage and side effects, if any.
*        Use the provided block on NRC Form 396 to clearly link the proposed restriction to the


* When making a submittal that involves a change in medication, include a brief statement of the reason for the medication change, a confirmation that the guidance standard requirements continue to be met, and that the existing license conditions remain
guidance standards disqualifying condition (e.g., ANSI/ANS-15.4 or 3.4).


adequate (e.g., the medical situation is stable such that more frequent monitoring or "no solo" changes are not warranted).  This provides a complete basis for the NRC medical reviewer for the reported change and allows for an evaluation of the impact on overall medical qualifications in accordance with the guidance standard.
*        When proposing an other restriction or exception (Box 9 on NRC Form 396), use the


* Fill out, as applicable, the blocks in NRC Form 396 titled "relationship of restriction to disqualifying condition."  Briefly indicate how restriction will correct the disqualifying condition and fill out "explanation(s)." 
proposed wording of restriction block to clearly state what the license condition should
* Ensure the examining medical official's complete information required on NRC Form 396 is included on the NRC Form 396.  Additionally, ensure involved medical staff are trained or otherwise familiar with the medical requirements of 10 CFR Part 55.  When an NRC physician's review is required, information should be included on the NRC Form 396 to enable the NRC's physician to perform a timely review of the requested condition or reported change.  This can be achieved by including a statement addressing the following elements: 


* medical condition or issue linked to guidance standard (e.g., ANSI/ANS-15.4 or ANSI/ANS-3.4 disqualifying condition).
say to ensure there is no misunderstanding.


* supporting medical evidence (examination and diagnostic studies results).
*       If medical information is being submitted as information only, indicate such by checking


* current diagnosis (controlled, stable, uncontrolled).
Box 11 on NRC Form 396. Use the explanation block or clearly indicate in attached


* treatment plan (for medication, include the name, dose, and side effects, if any).
correspondence whether there is a relationship to ANSI/ANS-15.4 or 3.4 or other guidance standard disqualifying condition. If a guidance standard condition is involved, clearly state the impact (or absence thereof) of the information on the individuals


* proposed license restriction.
qualification relative to that condition. If not related to a specific guidance standard


* format is not as important as content (a memorandum addressing the bullets above is sufficient; however, it is helpful to avoid handwritten notes, such as prescription pads, which can be difficult to read).
disqualifying condition but to a medication, include a statement that addresses the name
 
and strength of the medication and the dosage and side effects, if any.
 
*      When making a submittal that involves a change in medication, include a brief statement
 
of the reason for the medication change, a confirmation that the guidance standard
 
requirements continue to be met, and that the existing license conditions remain
 
adequate (e.g., the medical situation is stable such that more frequent monitoring or no
 
solo changes are not warranted). This provides a complete basis for the NRC medical
 
reviewer for the reported change and allows for an evaluation of the impact on overall
 
medical qualifications in accordance with the guidance standard.
 
*      Fill out, as applicable, the blocks in NRC Form 396 titled relationship of restriction to
 
disqualifying condition. Briefly indicate how restriction will correct the disqualifying
 
condition and fill out explanation(s).
 
*      Ensure the examining medical officials complete information required on NRC Form 396 is included on the NRC Form 396. Additionally, ensure involved medical staff are trained
 
or otherwise familiar with the medical requirements of 10 CFR Part 55.
 
When an NRC physicians review is required, information should be included on the NRC
 
Form 396 to enable the NRCs physician to perform a timely review of the requested condition
 
or reported change. This can be achieved by including a statement addressing the following
 
elements:
*      medical condition or issue linked to guidance standard (e.g., ANSI/ANS-15.4 or
 
ANSI/ANS-3.4 disqualifying condition).
 
*      supporting medical evidence (examination and diagnostic studies results).
 
*      current diagnosis (controlled, stable, uncontrolled).
 
*      treatment plan (for medication, include the name, dose, and side effects, if any).
 
*      proposed license restriction.
 
*     format is not as important as content (a memorandum addressing the bullets above is
 
sufficient; however, it is helpful to avoid handwritten notes, such as prescription pads, which can be difficult to read).


==CONTACT==
==CONTACT==
This IN requires no specific action or written response. Please direct any questions about this
This IN requires no specific action or written response. Please direct any questions about this
 
matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor
 
Regulation operator license examiner.
 
/RA/
                                              Timothy J. McGinty, Director
 
Division of Policy and Rulemaking
 
Office of Nuclear Reactor Regulation
 
Technical Contacts:    Phillip T. Young, NRR                  Patrick Isaac, NRR


matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor Regulation operator license examiner.         /RA/  Timothy J. McGinty, Director Division of Policy and Rulemaking Office of Nuclear Reactor Regulation
301-415-4094                            301-415-1019 e-mail: phillip.young@nrc.gov          e-mail: patrick.isaac@nrc.gov


Technical Contacts: Phillip T. Young, NRR Patrick Isaac, NRR 301-415-4094 301-415-1019 e-mail:  phillip.young@nrc.gov e-mail:  patrick.isaac@nrc.gov    Carole Revelle, NRR   301-415-1065    e-mail:  carole.revelle@nrc.gov
Carole Revelle, NRR


Note: NRC generic communications may be found on the NRC public Web site at http://www.nrc.gov under NRC Library/Document Collections.
301-415-1065 e-mail: carole.revelle@nrc.gov


==CONTACT==
Note: NRC generic communications may be found on the NRC public Web site at
This IN requires no specific action or written response.  Please direct any questions about this


matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor Regulation operator license examiner.         /RA/ Timothy J. McGinty, Director Division of Policy and Rulemaking Office of Nuclear Reactor Regulation
http://www.nrc.gov under NRC Library/Document Collections.


Technical Contacts: Phillip T. Young, NRR Patrick Isaac, NRR 301-415-4094 301-415-1019 e-mail:  phillip.young@nrc.gov e-mail:  patrick.isaac@nrc.gov     Carole Revelle, NRR   301-415-1065    e-mail:  carole.revelle@nrc.gov
ML12153A001                *via e-mail           TAC ME8778 OFFICE NRR/DPR/PROB*              Tech Editor*     NRR/DPR/PROB/BC* NRR/DPR/PRLB/BC*
NAME          PYoung                CHsu                GBowman              JQuichocho


Note:  NRC generic communications may be found on the NRC public Web site at http://www.nrc.gov, under NRC Library/Document Collections.
DATE          06/21/12              06/08/12              07/03/12              06/29/12 OFFICE NRR/DPR/PGCB/LA* NRR/DPR/PGCB/PM NRR/DPR/PGCB/BC NRR/DPR/PGCB/LA NRR/DPR/D


ADAMS Accession No.:  ML12153A001           *via e-mail               TAC ME8778 OFFICE NRR/DPR/PROB* Tech Editor* NRR/DPR/PROB/BC*NRR/DPR/PRLB/BC* NAME PYoung CHsu GBowman JQuichocho DATE 06/21/12 06/08/12 07/03/12 06/29/12 OFFICE NRR/DPR/PGCB/LA*NRR/DPR/PGCB/PMNRR/DPR/PGCB/BCNRR/DPR/PGCB/LA NRR/DPR/DNAME CHawes ARussell DPelton CHawes TMcGinty DATE 07/03/12 07/05/12 7/12/12 7/12/12 7/16/12 OFFICIAL RECORD COPY
NAME           CHawes               ARussell             DPelton               CHawes           TMcGinty


}}
DATE          07/03/12              07/05/12              7/12/12                7/12/12          7/16/12}}


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Latest revision as of 04:03, 12 November 2019

Recent Issues Associated with Submittal of NRC Form 396, Certification of Medical Examination by Facility Licensee, for Applicants and Licensed Operators at Non-Power Reactors
ML12153A001
Person / Time
Issue date: 07/16/2012
From: Mcginty T
NRC/NRR/DPR/PRAB
To:
Young P
References
IN-12-010
Download: ML12153A001 (7)


UNITED STATES

NUCLEAR REGULATORY COMMISSION

OFFICE OF NUCLEAR REACTOR REGULATION

WASHINGTON, DC 20555-0001 July 16, 2012 NRC INFORMATION NOTICE 2012-10: RECENT ISSUES ASSOCIATED WITH

SUBMITTAL OF NRC FORM 396, CERTIFICATION OF MEDICAL EXAMINATION BY

FACILITY LICENSEE, FOR APPLICANTS AND

LICENSED OPERATORS AT NON-POWER

REACTORS

ADDRESSEES

All holders of operating licenses for non-power reactors under Title 10 of the Code of Federal

Regulations (10 CFR) Part 50, Domestic Licensing of Production and Utilization Facilities, except those who have permanently ceased operations and have returned all of their fuel to the

U.S. Department of Energy, and all applicants and holders of non-power reactor operator and

senior operator licenses issued under 10 CFR Part 55, Operators Licenses.

PURPOSE

The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform

addressees about recent issues on the completeness of information required in the Certification

of Medical Examination by Facility Licensee (NRC Form 396) to meet NRC medical

requirements for applicants and holders of operator and senior operator licenses (referred to

collectively as operators). The NRC expects recipients to review the information contained in

this IN for applicability to their facilities and operators and consider actions, as appropriate, to

avoid similar issues. Suggestions contained in this IN are not NRC requirements. Therefore, no specific action or written response is required.

DESCRIPTION OF CIRCUMSTANCES

Recently, some facilities have failed to adequately inform the NRC of (1) changes in medical

status of licensed individuals, or (2) medical conditions on license applications. Additionally, some facilities have not ensured the examining medical officials information was included on

the NRC Form 396 and may not always ensure medical staff are familiar with the medical

requirements of 10 CFR Part 55. This has resulted in delays in the issuance of operator

licenses, in some cases for extended periods of time, while the errors were resolved. The

following examples describe these issues:

  • In January 2011, a facility submitted an NRC Form 396 with a license application that did

not provide the required explanation or medical evidence on an identified medical

condition to allow review by NRC physicians.

  • In March 2011, a facility submitted five NRC Form 396s for applicants scheduled to take

an NRC license examination. Two of the submittals were incomplete because of the

following: (1) Block 5, Must take medication as prescribed to maintain medical

ML12153A001 qualifications, was selected, but the required explanation or medical evidence was not

provided, and (2) Block 5, Must take medication as prescribed to maintain medical

qualifications, and Block 6, Must submit medical status report every 3 months, were

selected, but the required explanations or medical evidence were not provided.

  • In August 2011, a facility submitted an NRC Form 396 with No Restrictions selected.

The operator listed on the form had a change in medical status from the operators

previously submitted NRC Form 396 that showed, Corrective lenses be worn when

Performing Licensed Duties. The facility should have checked Box 9, Restriction

change from previous submittal, and provided the required explanation or medical

evidence to support the change.

  • In 2010 and 2011, several facilities submitted NRC Form 396s that did not include the

licensed physicians information as the examining medical official.

  • In January 2012, a facility submitted a request for a senior operator - upgrade

examination for an applicant. The NRC Form 396 submitted with the request did not

reflect the medical condition requirements stated on the reactor operator license issued

in 2011. Communications with the facility and applicant revealed that the applicants

original diagnosis requiring a license condition restriction was determined to be an error.

Additionally, a subsequent diagnosis by the applicants personal physician should have

required a different medical condition restriction. The facility had not reported the

change in medical condition when it occurred, and did not include the required

explanation or evidence with the new NRC Form 396.

  • In February 2012, a facility submitted five NRC Form 396s for applicants scheduled to

take an NRC license examination. Some of the submitted applications contained

attachments as a checklist used during the medical examination. Four of the submittals

were incomplete with the following problems:

1. Two of the submittals indicated that the hearing test conducted consisted of

speaking and whispering. Section 7.2.4(1) of American

Nuclear Standards Institute/American Nuclear Society (ANSI/ANS)-15.4-2007 has specific requirements for hearing ability and the standard allows the method

used to test the applicant if the audiometric scores are unacceptable. The

examining physician did not explain if the required puretone audiometric scores

were outside the normal range requiring the use of the exception.

2. One submittal indicated that an applicant had been treated for a potentially

disqualifying condition and had been under a physicians care for approximately

5 years for this condition. The examining certifying physician did not reference

the status of the condition, nor did the physician acknowledge whether the

applicant was on any continuing medication regimen to control the condition.

3. One submitted NRC Form 396 did not include the licensed physicians

information as the examining medical official.

Of the facilities with multiple NRC Form 396 errors, a common trait was that several different

doctors performed physical examinations who may or may not have been familiar with the ANSI

Standards.

BACKGROUND

Related NRC Generic Communications

NRC IN 2009-21, Incomplete Medical Testing for Licensed Operators, dated

September 30, 2009, (Agencywide Documents Access and Management System (ADAMS)

Accession No. ML092520457).

NRC IN 2004-20, Recent Issues Associated with NRC Medical Requirements for Licensed

Operators, dated November 24, 2004, (ADAMS Accession No. ML042510509).

NRC IN 1994-14, Failure to Implement Requirements for Biennial Medical Examinations and

Notification to the NRC of Changes in Licensed Operator Medical Conditions, dated

February 24, 1994 (ADAMS Accession No. ML031060622), and Supplement 1, dated

April 14, 1997 (ADAMS Accession No. ML031060468).

NRC IN 1991-08, Medical Examinations for Licensed Operators, dated February 5, 1991 (ADAMS Accession No. ML031190668).

General questions applicable to medical issues and the NRC Form 396 can be found at

http://www.nrc.gov/reactors/operator-licensing/op-licensing-files/ol-feedback.pdf.

DISCUSSION

Regulatory Basis of Licensed Operator Medical Requirements

The NRCs requirements related to the conduct and documentation of medical examinations for

operators are contained in Subpart C, Medical Requirements, of 10 CFR Part 55, Operators

Licenses. Specifically, 10 CFR 55.21, Medical Examination, requires every operator to be

examined by a physician when he or she first applies for a license and every 2 years thereafter.

The physician must determine whether the operator meets the requirements of Subpart D,

Applications, of 10 CFR 55.33(a)(1), Health, (i.e., the operators medical condition and

general health will not adversely affect the performance of assigned operator duties or cause

operational errors that endanger public health and safety). When an operator applies for or

renews a license pursuant to 10 CFR 55.31, How to Apply, or Subpart D of 10 CFR 55.57, Renewal of Licenses, an authorized representative of the facility licensee must complete and

sign NRC Form 396 pursuant to Subpart C of 10 CFR 55.23, Certification, certifying that a

physician has conducted the required medical examination and determined that the operators

medical condition and general health meet the requirements of 10 CFR 55.33(a)(1).

The facility licensee must also certify which industry standard (i.e., the 1988 or 2007 version of

ANSI/ANS-15.4, Selection and Training of Personnel for Research Reactors, the 1983 or 1996 version of ANSI/ANS-3.4, Medical Certification and Monitoring of Personnel Requiring Operator

Licenses for Nuclear Power Plants, or other guidance that may be approved by the NRC) was

used in making the medical determination.

The ANSI standards describe a number of specific operator minimum medical requirements and

disqualifying conditions. If an operator's medical status does not meet the minimum standards, the facility licensee must request a conditional license in accordance with 10 CFR 55.23(b) by

submitting the appropriate medical explanation and evidence on or attached to NRC Form 396.

Pursuant to 10 CFR 55.33, Disposition of an Initial Application, and Subpart F, Licenses, of 10 CFR 55.57, the Commission will review the license application based on requested

restrictions and supporting explanations or medical evidence.

Subpart C of 10 CFR 55.27, Documentation, requires the facility licensee to document and

maintain the medical qualifications data, test results, and each operators medical history. In

addition, 10 CFR 55.27 requires the facility licensee to retain each operators medical history for

the current license period and provide that information to the NRC upon request.

Medical information must be sent to the NRC: (1) as part of an initial, upgrade, or renewal

application per 10 CFR 55.31(6) and 55.57(6) and (2) if, at any time during the term of an

operators license, the operator develops a permanent physical or mental condition that causes

the operator to fail to meet the requirements of 10 CFR 55.21. The facility licensee must notify

the Commission, pursuant to 10 CFR 55.25, Incapacitation Because of Disability or Illness, and 10 CFR 50.74(c) within 30 days of learning of the diagnosis. If a conditional license is

requested, the facility licensee must forward the requested restriction and medical evidence and

explanation on NRC Form 396, as described in 10 CFR 55.23. The facility must maintain that

medical evidence pursuant to 10 CFR 55.27.

In addition to the other requirements under Subpart F, Licenses, of 10 CFR 55.53, Conditions

of Licenses, including 10 CFR 55.53(g) and (k), the licensed operator or applicant must notify

the facility licensee of any change in medical or psychological status including, but not limited to, new medications and change in medications or treatment regimen. The licensed operator or

applicant shall provide any medical records that the designated medical examiner deems

necessary to complete the medical examination.

NRC Form 396 requires the signature of the senior management representative onsite, and by

signing the NRC Form 396, the facility certifies that the guidance identified was followed in

determining the medical fitness of an operator for non-power reactors. This is subject to the

requirements of 10 CFR 50.9, Completeness and Accuracy of Information. Any material false

statement or omission on an NRC Form 396, including attachments, may represent a violation

of NRC requirements that could lead to enforcement action.

CONCLUSION

A successful submission of NRC Form 396 for applications or renewals contains the following

attributes, in part:

  • If requesting a restriction or removal of a restriction, include a complete and concise

explanation and provide appropriate medical evidence, as explicitly stated on the form in

the restrictions section.

  • Use the provided block on NRC Form 396 to clearly link the proposed restriction to the

guidance standards disqualifying condition (e.g., ANSI/ANS-15.4 or 3.4).

  • When proposing an other restriction or exception (Box 9 on NRC Form 396), use the

proposed wording of restriction block to clearly state what the license condition should

say to ensure there is no misunderstanding.

  • If medical information is being submitted as information only, indicate such by checking

Box 11 on NRC Form 396. Use the explanation block or clearly indicate in attached

correspondence whether there is a relationship to ANSI/ANS-15.4 or 3.4 or other guidance standard disqualifying condition. If a guidance standard condition is involved, clearly state the impact (or absence thereof) of the information on the individuals

qualification relative to that condition. If not related to a specific guidance standard

disqualifying condition but to a medication, include a statement that addresses the name

and strength of the medication and the dosage and side effects, if any.

  • When making a submittal that involves a change in medication, include a brief statement

of the reason for the medication change, a confirmation that the guidance standard

requirements continue to be met, and that the existing license conditions remain

adequate (e.g., the medical situation is stable such that more frequent monitoring or no

solo changes are not warranted). This provides a complete basis for the NRC medical

reviewer for the reported change and allows for an evaluation of the impact on overall

medical qualifications in accordance with the guidance standard.

  • Fill out, as applicable, the blocks in NRC Form 396 titled relationship of restriction to

disqualifying condition. Briefly indicate how restriction will correct the disqualifying

condition and fill out explanation(s).

  • Ensure the examining medical officials complete information required on NRC Form 396 is included on the NRC Form 396. Additionally, ensure involved medical staff are trained

or otherwise familiar with the medical requirements of 10 CFR Part 55.

When an NRC physicians review is required, information should be included on the NRC

Form 396 to enable the NRCs physician to perform a timely review of the requested condition

or reported change. This can be achieved by including a statement addressing the following

elements:

  • medical condition or issue linked to guidance standard (e.g., ANSI/ANS-15.4 or

ANSI/ANS-3.4 disqualifying condition).

  • supporting medical evidence (examination and diagnostic studies results).
  • current diagnosis (controlled, stable, uncontrolled).
  • treatment plan (for medication, include the name, dose, and side effects, if any).
  • proposed license restriction.
  • format is not as important as content (a memorandum addressing the bullets above is

sufficient; however, it is helpful to avoid handwritten notes, such as prescription pads, which can be difficult to read).

CONTACT

This IN requires no specific action or written response. Please direct any questions about this

matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor

Regulation operator license examiner.

/RA/

Timothy J. McGinty, Director

Division of Policy and Rulemaking

Office of Nuclear Reactor Regulation

Technical Contacts: Phillip T. Young, NRR Patrick Isaac, NRR

301-415-4094 301-415-1019 e-mail: phillip.young@nrc.gov e-mail: patrick.isaac@nrc.gov

Carole Revelle, NRR

301-415-1065 e-mail: carole.revelle@nrc.gov

Note: NRC generic communications may be found on the NRC public Web site at

http://www.nrc.gov under NRC Library/Document Collections.

ML12153A001 *via e-mail TAC ME8778 OFFICE NRR/DPR/PROB* Tech Editor* NRR/DPR/PROB/BC* NRR/DPR/PRLB/BC*

NAME PYoung CHsu GBowman JQuichocho

DATE 06/21/12 06/08/12 07/03/12 06/29/12 OFFICE NRR/DPR/PGCB/LA* NRR/DPR/PGCB/PM NRR/DPR/PGCB/BC NRR/DPR/PGCB/LA NRR/DPR/D

NAME CHawes ARussell DPelton CHawes TMcGinty

DATE 07/03/12 07/05/12 7/12/12 7/12/12 7/16/12