ML20155C816: Difference between revisions
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* 88%q#g 6 | |||
* 88%q#g UNITED sT ATES l *,. ' | / | ||
UNITED sT ATES l *,. ' | |||
-[ " ",,, (, 4 NUCLEAR REGULATORY COMMISSION W ASHIN GT ON. D.C. 20$55 jj | |||
l OFFICE OF THE COMMISSIONE R l | %,' '..C" AT [ | ||
October 6, 1981 j | |||
FR OM;. | l OFFICE OF THE COMMISSIONE R l | ||
MEMORANDUM FOR: | |||
CommissionerBradfodd i | |||
FR OM;. | |||
_ John Ahearne | |||
/. | |||
a | |||
==SUBJECT:== | ==SUBJECT:== | ||
IE INVESTIGAT10y'joF STEPAN CHIMICAL l | IE INVESTIGAT10y'joF STEPAN CHIMICAL l | ||
COMPANY (COMPB-M-9) | COMPANY (COMPB-M-9) t i | ||
t i | I I agree wi th your recommenda tions, but would also include l | ||
I | |||
NMSS and OIA in the discussion. | NMSS and OIA in the discussion. | ||
In addition. I suggest tha t our discussion go beyond the S t epa n ca s e. to the following generic issues: | In addition. I suggest tha t our discussion go beyond the S t epa n ca s e. to the following generic issues: | ||
1. | |||
and safety of making a false statement to NRC. | Is a Commission Policy Statement desirable which provides oojectives and important considera tions to guide the conduct of investiga tions? | ||
For example, this statement could address when criminal investigations should be ruled out by I&E and what is the relevance to health and safety of making a false statement to NRC. | |||
I | f 2. | ||
Are IE investigators adequately trained and IE investigative procedures adequate to conduct and document inves tiga tions to accomplish the Commission's objectives? | |||
I s | |||
cc: | |||
Chairman Palladino Commissioner Gilinsky l | |||
Commissioner Roberts OGC OPE l | |||
Secy l | |||
l i | l i | ||
i 4 | i 4 | ||
9811030016 981027 PDR | 9811030016 981027 PDR FOIA DECARLO98-246 PDR ffff 0.30 Nfo | ||
. -}} | |||
Latest revision as of 22:06, 10 December 2024
| ML20155C816 | |
| Person / Time | |
|---|---|
| Issue date: | 10/06/1981 |
| From: | Ahearne J NRC |
| To: | Bradford P NRC COMMISSION (OCM) |
| Shared Package | |
| ML20155C793 | List: |
| References | |
| FOIA-98-246 NUDOCS 9811030016 | |
| Download: ML20155C816 (1) | |
Text
. _.
m 0
- 88%q#g 6
/
UNITED sT ATES l *,. '
-[ " ",,, (, 4 NUCLEAR REGULATORY COMMISSION W ASHIN GT ON. D.C. 20$55 jj
%,' '..C" AT [
October 6, 1981 j
l OFFICE OF THE COMMISSIONE R l
MEMORANDUM FOR:
CommissionerBradfodd i
FR OM;.
_ John Ahearne
/.
a
SUBJECT:
IE INVESTIGAT10y'joF STEPAN CHIMICAL l
COMPANY (COMPB-M-9) t i
I I agree wi th your recommenda tions, but would also include l
NMSS and OIA in the discussion.
In addition. I suggest tha t our discussion go beyond the S t epa n ca s e. to the following generic issues:
1.
Is a Commission Policy Statement desirable which provides oojectives and important considera tions to guide the conduct of investiga tions?
For example, this statement could address when criminal investigations should be ruled out by I&E and what is the relevance to health and safety of making a false statement to NRC.
f 2.
Are IE investigators adequately trained and IE investigative procedures adequate to conduct and document inves tiga tions to accomplish the Commission's objectives?
I s
cc:
Chairman Palladino Commissioner Gilinsky l
Commissioner Roberts OGC OPE l
Secy l
l i
i 4
9811030016 981027 PDR FOIA DECARLO98-246 PDR ffff 0.30 Nfo
. -