NRC Generic Letter 1982-17: Difference between revisions
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{{#Wiki_filter: | {{#Wiki_filter:I OCT 01 198 TO ALL LICENSEES | ||
TO ALL LICENSEE OF OPERATING POWER | ANM APPLICANiTS | ||
TO'ALL LICENSEE OF OPERATING POWER | FOR OPERATINiG | ||
}} | P(AlER REACTORS AiO 1OOLJERS OF CONSTRUCTION | ||
PERHITS FOR POWER REACTORS Gentlenen: | |||
SUBJECT: INCOWI'SISTENCY | |||
BETWEEN REQUIREft.NTS | |||
OF 10 CFR 50.54(t)AND) STAiIDARU | |||
TECHNICAL | |||
SPECIFICATION4S | |||
FOR PERFORIMING | |||
AUDITS OF EIERGENCY | |||
PREPAREDNESS | |||
PisOGRA.1S (Generic Letter No. 82-17)Section 50.54(t) of Title 10 of the Code that each nuclear power reactor licensee of its einergency preparedness program at of Federal Regulations requires provide for an independent review least every 12 months.It has comie to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this independent audit be carried out every 24 months.All licensees are required to neet the requiremnents of 10 CFR 50.54(t), notwithstanding any provision that nay have been in their Technical Specifications prior to the issuance of 10 CFR 3u.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an independent audit of your energnecy preparedness program is in accordance with 1U CFR 50.54(t). | |||
If your Technical Specifications contain a provision that is less frequent than the regulations, you should request the staff to modify your technical specifications to conform to the rule.Because this Technical Specification is clarifying and made at the request of the Coizission, you are not required to remit a license fee for the change.This request has been approved by 01tB Clearance Nuvnber 3150-0011, wihich expires April 3J, 1985.oxtoLX(tJ.' | |||
&L; Jl-9 8210040068 | |||
*SEE PREVIOUS TISSUES FOR CONCURRENCE | |||
Powtr Sirereflbhi signedby'DarrellG | |||
Q- 1enhut Darrell G. Eisenhut, Director Division of Licensing g -....OFFICEO SURNAME b DATE DL: ORb #5 ' OELD*....9 7/.................8 | |||
?.A/?? ..QnQ.x.S. .0.l.. v ..t.e~........ | |||
DL: ORB #5* LFMB*...................... | |||
...... ........... | |||
I... .........DCrutchfi .l 9/10/82 9/16/82........................ | |||
............. | |||
.................. | |||
DL: AD/SA*........................ | |||
ENW 19.r.sl .......9/23/82........................ | |||
I DL:... ............. | |||
gl. e n hul .......r............. | |||
I_ _I1 NRC FORM 318 (10-80) NRCM 0240 OFFICIAL RECORD COPY USGPO: 1981-335-960 | |||
TO ALL LICENSEE OF OPERATING | |||
POWER REACTORS Gentlemen: | |||
SUBJECT: INCONSISTENCY | |||
BETWEEN REQUIREMENTS | |||
OF lO CFR 50.54(t)AND STANDARD TECNNICAL | |||
SPECIFICATIONS | |||
FOR PERFORMING | |||
AUDITS OF EMERGENCY | |||
PREPAREDNESS | |||
PROGRAMS (Generic Letter No. 82- )Section 50.54(t) of Title 10 of the Code of Federal Regulations requires that each nuclear power reactor licensee provide for an independent review of its emergency preparedness prograi at least every 12 months.It has come to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this Inde-pendent audit be carried out every 24 months.All licensees are required to meet the requirements of 10 CFR 50.54(t), notwithstanding any provision that may have been in their Technical Specification prior to the issuance of 10 CFR 50.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an Independent audit of your emergency prepared-ness program is in accordance with 10 CFR 50.54(t). | |||
If your Technical Specifications contain a provision that Is less !frequent than the regulations, you should request the staff to modify your technical specifications to conform to the rule.8ecause this Technical Specification is clarifying and made at the request of the Commission, you are not required to remit a license fee for the change.Sincerely, Darrell G. Eisenhut, Director Division of Licensing*SEE PREVIOUS TISSUE FOR CONCURRENCE | |||
___ DL: ORB #5 OELD* Dg#5 MB D D/SA DL: DIR OFFICE~ .. ................... | |||
... ......... | |||
....... ... t ki-----r----tt-*--s r-----...... | |||
.. ........................ | |||
........................ | |||
SURNAME P.Q ..Qnn.Q.;Uj.I | |||
.Qm .ff atA.........P | |||
.DC FMi r ia DEisenhut DA T E ..l2 9./7..8.2 | |||
... ..... ....2 ..L82 8 2 / /82 J....DAC F_.._...... | |||
.....R..FA.. ... Y .... ...... .. ... ....NRC FORMG 318 (10-80) NRCM 0240 O FFICIA L RECUOR D C OPY USGPO: 1981-335-ME | |||
TO'ALL LICENSEE OF OPERATING | |||
POWER REACTORS Gentlemen: | |||
SUBJECT: INCONSISTENCY | |||
BETWEEN REQUIREMIENTS | |||
OF 10 CFR 50.54(t)AND STANDARD TECHNICAL | |||
SPECIFICATIONS | |||
FOR PERFORMING | |||
AUDITS OF EMERGENCY | |||
PREPAREDNESS | |||
PROGRAMS (Generic Letter No. 82- )Section 50.54(t) of Title 10 of the Code of Federal Regulations requires that each nuclear power reactor licensee provide for q an independent review of at least every 12 months.It has come to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this inde-pendent audit be carried out every 24 months.All licensees are required to meet the requirements of 10 CFR 50.54(t), nof iithstanding any provision that may have been in.their Technical Specification prior to the issuance of 10 CFR 50.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an independent audit of your emergency prepared-ness program is in accordance with 10 CFR 50.54(t). | |||
If your Technical Specifications contain a provision that is lessAthan-QQ6i-e regulations, you should request the staff to modify your D A technical specifications to the rule. ;t5 Because this Technical Specificato° | |||
of the Conmission, you -qfibtred to remit a license fee for the charge.a{ (AI Sincerely, Darrell G. Eisenhut, Director Division of Licensing ,_ ,,_- ,§l .,I r OFFICEDL: | |||
DL: ORB #5 FMB DL: A/AD/SA DL: DIR.............. | |||
.........t. .. ........................ | |||
....... ................. | |||
... ...... *............... | |||
..................... | |||
........................ | |||
SURNAMEO ..B.¶Onn/.;.. | |||
...2. _ ...f1 ....TlJ8........8.2..... | |||
T 11.8.2 ..... O.n8hu.2 ........................ | |||
DATEt ..... .17/8 1..... ...!. ...../. /*n .... ../.~.../ ... ./ ................. | |||
NRC FORM 318 (10-80) NRCM 0240 O FFICIA L R EC O RD C OPY.USGPO: 1981l 3960}} | |||
{{GL-Nav}} | {{GL-Nav}} | ||
Revision as of 12:52, 31 August 2018
I OCT 01 198 TO ALL LICENSEES
ANM APPLICANiTS
FOR OPERATINiG
P(AlER REACTORS AiO 1OOLJERS OF CONSTRUCTION
PERHITS FOR POWER REACTORS Gentlenen:
SUBJECT: INCOWI'SISTENCY
BETWEEN REQUIREft.NTS
OF 10 CFR 50.54(t)AND) STAiIDARU
TECHNICAL
SPECIFICATION4S
FOR PERFORIMING
AUDITS OF EIERGENCY
PREPAREDNESS
PisOGRA.1S (Generic Letter No. 82-17)Section 50.54(t) of Title 10 of the Code that each nuclear power reactor licensee of its einergency preparedness program at of Federal Regulations requires provide for an independent review least every 12 months.It has comie to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this independent audit be carried out every 24 months.All licensees are required to neet the requiremnents of 10 CFR 50.54(t), notwithstanding any provision that nay have been in their Technical Specifications prior to the issuance of 10 CFR 3u.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an independent audit of your energnecy preparedness program is in accordance with 1U CFR 50.54(t).
If your Technical Specifications contain a provision that is less frequent than the regulations, you should request the staff to modify your technical specifications to conform to the rule.Because this Technical Specification is clarifying and made at the request of the Coizission, you are not required to remit a license fee for the change.This request has been approved by 01tB Clearance Nuvnber 3150-0011, wihich expires April 3J, 1985.oxtoLX(tJ.'
&L; Jl-9 8210040068
- SEE PREVIOUS TISSUES FOR CONCURRENCE
Powtr Sirereflbhi signedby'DarrellG
Q- 1enhut Darrell G. Eisenhut, Director Division of Licensing g -....OFFICEO SURNAME b DATE DL: ORb #5 ' OELD*....9 7/.................8
?.A/?? ..QnQ.x.S. .0.l.. v ..t.e~........
DL: ORB #5* LFMB*......................
...... ...........
I... .........DCrutchfi .l 9/10/82 9/16/82........................
.............
..................
DL: AD/SA*........................
ENW 19.r.sl .......9/23/82........................
I DL:... .............
gl. e n hul .......r.............
I_ _I1 NRC FORM 318 (10-80) NRCM 0240 OFFICIAL RECORD COPY USGPO: 1981-335-960
TO ALL LICENSEE OF OPERATING
POWER REACTORS Gentlemen:
SUBJECT: INCONSISTENCY
BETWEEN REQUIREMENTS
OF lO CFR 50.54(t)AND STANDARD TECNNICAL
SPECIFICATIONS
FOR PERFORMING
AUDITS OF EMERGENCY
PREPAREDNESS
PROGRAMS (Generic Letter No. 82- )Section 50.54(t) of Title 10 of the Code of Federal Regulations requires that each nuclear power reactor licensee provide for an independent review of its emergency preparedness prograi at least every 12 months.It has come to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this Inde-pendent audit be carried out every 24 months.All licensees are required to meet the requirements of 10 CFR 50.54(t), notwithstanding any provision that may have been in their Technical Specification prior to the issuance of 10 CFR 50.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an Independent audit of your emergency prepared-ness program is in accordance with 10 CFR 50.54(t).
If your Technical Specifications contain a provision that Is less !frequent than the regulations, you should request the staff to modify your technical specifications to conform to the rule.8ecause this Technical Specification is clarifying and made at the request of the Commission, you are not required to remit a license fee for the change.Sincerely, Darrell G. Eisenhut, Director Division of Licensing*SEE PREVIOUS TISSUE FOR CONCURRENCE
___ DL: ORB #5 OELD* Dg#5 MB D D/SA DL: DIR OFFICE~ .. ...................
... .........
....... ... t ki-----r----tt-*--s r-----......
.. ........................
........................
SURNAME P.Q ..Qnn.Q.;Uj.I
.Qm .ff atA.........P
.DC FMi r ia DEisenhut DA T E ..l2 9./7..8.2
... ..... ....2 ..L82 8 2 / /82 J....DAC F_.._......
.....R..FA.. ... Y .... ...... .. ... ....NRC FORMG 318 (10-80) NRCM 0240 O FFICIA L RECUOR D C OPY USGPO: 1981-335-ME
TO'ALL LICENSEE OF OPERATING
POWER REACTORS Gentlemen:
SUBJECT: INCONSISTENCY
BETWEEN REQUIREMIENTS
OF 10 CFR 50.54(t)AND STANDARD TECHNICAL
SPECIFICATIONS
FOR PERFORMING
AUDITS OF EMERGENCY
PREPAREDNESS
PROGRAMS (Generic Letter No. 82- )Section 50.54(t) of Title 10 of the Code of Federal Regulations requires that each nuclear power reactor licensee provide for q an independent review of at least every 12 months.It has come to our attention that the Standard Technical Specifications in use by a number of licensees and some existing plant-specific Technical Specifications require that this inde-pendent audit be carried out every 24 months.All licensees are required to meet the requirements of 10 CFR 50.54(t), nof iithstanding any provision that may have been in.their Technical Specification prior to the issuance of 10 CFR 50.54(t) or that have been added since its issuance.Accordingly, you are requested to assure that your provisions for carrying out an independent audit of your emergency prepared-ness program is in accordance with 10 CFR 50.54(t).
If your Technical Specifications contain a provision that is lessAthan-QQ6i-e regulations, you should request the staff to modify your D A technical specifications to the rule. ;t5 Because this Technical Specificato°
of the Conmission, you -qfibtred to remit a license fee for the charge.a{ (AI Sincerely, Darrell G. Eisenhut, Director Division of Licensing ,_ ,,_- ,§l .,I r OFFICEDL:
DL: ORB #5 FMB DL: A/AD/SA DL: DIR..............
.........t. .. ........................
....... .................
... ...... *...............
.....................
........................
SURNAMEO ..B.¶Onn/.;..
...2. _ ...f1 ....TlJ8........8.2.....
T 11.8.2 ..... O.n8hu.2 ........................
DATEt ..... .17/8 1..... ...!. ...../. /*n .... ../.~.../ ... ./ .................
NRC FORM 318 (10-80) NRCM 0240 O FFICIA L R EC O RD C OPY.USGPO: 1981l 3960