ML072700601: Difference between revisions

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{{Adams
#REDIRECT [[GNRO-2006/00058, Revision to Supplement 3 of Amendment Request, Changes to the Local Power Range Monitor Calibration Frequency]]
| number = ML072700601
| issue date = 09/21/2007
| title = Grand Gulf Unit 1 Revision to Supplement 3 of Amendment Request, Changes to the Local Power Range Monitor Calibration Frequency
| author name = Brian W R
| author affiliation = Entergy Operations, Inc
| addressee name =
| addressee affiliation = NRC/Document Control Desk, NRC/NRR
| docket = 05000416
| license number = NPF-029
| contact person =
| case reference number = GNRO-2006/00058, GNRO-2007/00056, GNRO-2007/00065, TAC MD3469
| document type = Letter
| page count = 7
| project = TAC:MD3469
| stage = Supplement
}}
 
=Text=
{{#Wiki_filter:Entergy P0O. Box 756 Port Gibson, MS 39150 Tel 601 437 6409 William R. Brian Vice President
-Operations Grand Gulf Nuclear Station GNRO-2007/00065 September 21, 2007 U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555
 
==Subject:==
Revision to Supplement 3 of Amendment Request Changes to the Local Power Range Monitor (LPRM) Calibration Frequency (TAC No. MD3469)Grand Gulf Nuclear Station, Unit 1 Docket No. 50-416 License No. NPF-29
 
==References:==
: 1. Letter GNRO-2006/00058, "License Amendment Request: Changes to the Local Power Range Monitor (LPRM)Calibration Frequency," dated November 1, 2006 (ADAMS Accession No. ML063130372)
: 2. Letter GNRO-2007/00056, "Supplement 3 to Amendment Request: Changes to the LPRM Calibration Frequency," dated August 16, 2007.
 
==Dear Sir or Madam:==
By Reference 1 above, Entergy Operations, Inc. (Entergy) proposed a change to the Grand Gulf Nuclear Station, Unit I (GGNS) Technical Specifications (TS) to extend the LPRM calibration frequency.
Reference 2 provided a supplement to the request.Attachment I to Reference 2 contained information that was considered proprietary to AREVA NP Inc. Attachment 3 provided an affidavit to support a request to withhold the proprietary information from public disclosure.
This letter provides a revised affidavit and a revised page for Attachment 1 to Reference 2.Page 1 of Attachment I is revised to include a proprietary designation at the top of the page. Although the page itself does not contain proprietary information, it was part of a proprietary section and is being designated as such. The revised affidavit supersedes the previous affidavit provided by Attachment 3 to Reference
: 2. These changes were previously discussed with the Nuclear Reactor Regulation (NRR) Project Manager.G070065 AikyCzDi GNRO-2007/00065 Page 2 of 2 There are no technical changes proposed to the amendment request. The original no significant hazards consideration included in the above referenced letter is not affected by any information contained in this letter. This letter does not include any new commitments.
If you have any questions or require additional information, please contact Ron Byrd at 601-368-5792.
I declare under penalty of perjury that the foregoing is true and correct. Executed on September 21, 2007.Sincerely, WRB/RWB/amm Attachments:
: 1. Revised Page 1 of Attachment 1 to GNRO-2007/00056
: 2. Revised Affidavit cc: Mr. Elmo E. Collins Regional Administrator, Region IV U. S. Nuclear Regulatory Commission 611 Ryan Plaza Drive, Suite 400 Arlington, TX 76011-4005 U.S. Nuclear Regulatory Commission ATTN: Mr. Bhalchandra Vaidya,NRR/DORL (w/2)ATTN: ADDRESSEE ONLY ATTN: U.S. Postal Delivery Address Only Mail Stop OWFN/O-8G14 Washington, D.C. 20555-0001 Mr. Brian W. Amy, MD, MHA, MPH Mississippi Department of Health P. 0. Box 1700 Jackson, MS 39215-1700 NRC Senior Resident Inspector Grand Gulf Nuclear Station Port Gibson, MS 39150 G070065 Attachment I To GNRO-2007100065 Revised Page 1 of Attachment I to GNRO-2007/00056 G070065 Attachment 2 To GNRO-2007/00065 Revised Affidavit G070065 AFFIDAVIT STATE OF WASHINGTON
)) ss.COUNTY OF BENTON 1. My name is Jerald S. Holm. I am Manager, Product Licensing, for AREVA NP Inc. and as such I am authorized to execute this Affidavit.
: 2. I am familiar with the criteria applied by AREVA NP to determine whether certain AREVA NP information is proprietary.
I am familiar with the policies established by AREVA NP to ensure the proper application of these criteria.3. I am familiar with the AREVA NP information contained in the Entergy letter number GNRO-2007/00056, titled Supplement 3 to Amendment Request: Changes to the LPRM Calibration Frequency and referred to herein as "Document." Information contained in this Document has been classified by AREVA NP as proprietary in accordance with the policies established by AREVA NP for the control and protection of proprietary and confidential information.
: 4. This Document contains information of a proprietary and confidential nature and is of the type customarily held in confidence by AREVA NP and not made available to the public. Based on my experience, I am aware that other companies regard information of the kind contained in this Document as proprietary and confidential, 5. This Document has been made available to the U.S Nuclear Regulatory Commission in confidence with the request that the information contained in this Document be withheld from public disclosure.
The request for withholding of proprietary information is made in accordance with 10 CFR 2..390.. The information for which withholding from disclosure is requested qualifies under 10 CFR 2.390(a)(4) "Trade secrets and commercial or financial information".
: 6. The following criteria are customarily applied by AREVA NP to determine whether information should be classified as proprietary.(a) The information reveals details of AREVA NP's research and development plans and programs or their results.(b) Use of the information by a competitor would permit the competitor to significantly reduce its expenditures, in time or resources, to design, produce, or market a similar product or service.(c) The information includes test data or analytical techniques concerning a process, methodology, or component, the application of which results in a competitive advantage for AREVA NP.(d) The information reveals certain distinguishing aspects of a process, methodology, or component, the exclusive use of which provides a competitive advantage for AREVA NP in product optimization or marketability, (e) The information is vital to a competitive advantage held by AREVA NP, would be helpful to competitors to AREVA NP, and would likely cause substantial harm to the competitive position of AREVA NP..The information in the Document is considered proprietary for the reasons set forth in paragraph 6(d) and 6(e) above.7. In accordance with AREVA NP's policies governing the protection and control of information, proprietary information contained in this Document have been made available, on a limited basis, to others outside AREVA NP only as required and under suitable agreement providing for nondisclosure and limited use of the information.
1 1.8. AREVA NP policy requires that proprietary information be kept in a secured file or area and distributed on a need-to-know basis.9. The foregoing statements are true and correct to the best of my knowledge, information, and belief..SUBSCRIBED before me this day of 2007.M.-04--.,,!, 4i,, : Leslie M. Koep -PUEL1C.. -NOTARY PUBLIC, STATE OF WASHINGTON MY COMMISSION EXPIRES: 6/18/2011 V"Z°"_i\ -}}

Latest revision as of 17:34, 17 April 2019