ML18047A177: Difference between revisions

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=Text=
=Text=
{{#Wiki_filter:February 28, 2018  
{{#Wiki_filter:February 28, 2018 Mr. Patrick Bailey Lotus, LLC 13617 N Hwy 171 Cresson, TX 76035
 
Mr. Patrick Bailey  
 
Lotus, LLC  
 
13617 N Hwy 171  
 
Cresson, TX 76035  


==Dear Mr. Bailey:==
==Dear Mr. Bailey:==


This letter is in response to the inquiry you submitted via the U.S. Nuclear Regulatory  
This letter is in response to the inquiry you submitted via the U.S. Nuclear Regulatory Commissions (NRCs) webpage e-mail on January 18, 2018, and the follow-up e-mail submitted on February 14, 2018, to confirm the licensing jurisdiction for imports of Naturally Occurring Radioactive Material (NORM) and Technologically Enhanced Naturally Occurring Radioactive Materials (TENORM). You indicated your company is licensed and permitted to dispose of NORM/TENORM for the gas and oil industry.
 
Under NRCs regulations, Title 10 of the Code of Federal Regulations (CFR) Part 110.2, Definitions, Radioactive waste, for the purposes of this part, means any material that contains or is contaminated with source, byproduct or special nuclear material that by its possession would require a specific radioactive material license in accordance with this Chapter.
Commission's (NRC's) webpage e-mail on J anuary 18, 2018, and the follow-up e-mail submitted on February 14, 2018, to confirm the licensing jurisdiction for imports of Naturally Occurring Radioactive Material (NORM) and Technologically Enhanced Naturally Occurring Radioactive Materials (TENORM). You indicated your company is licensed and permitted to dispose of NORM/TENORM for the gas and oil industry.  
To the extent that possession of this material does not require a specific NRC or Agreement state radioactive materials possession license, it would not meet the above definition of radioactive waste.
 
If you have questions regarding the CFR materials possession regulations, I will be happy to refer you to a contact in the NRCs Office of Nuclear Materials Management and Safeguards.
Under NRC's regulations, Title 10 of the Code of Federal Regulations (CFR)
Please feel free to contact me at (301) 287-9056 or Mr. Stephen Baker of my staff at (301) 287-9059.
Part 110.2, "Definitions,
Sincerely,
 
                                                /RA/
Radioactive waste, for the purposes of this part, means any material that contains or is contaminated with source, byproduct or special nuclear material that by its possession would require a specific radioactive material license in accordance with this Chapter.
David L. Skeen, Deputy Director Office of International Programs
To the extent that possession of this material does not require a specific NRC or Agreement state radioactive materials possession license, it would not meet the above definition of radioactive waste.  
 
If you have questions regarding the CFR materials possession regulations, I will be happy to refer you to a contact in the NRC's Office of Nuclear Materials Management and Safeguards.
Please feel free to contact me at (301) 287-9056 or Mr. Stephen Baker of my staff at
 
(301) 287-9059.
 
Sincerely,
/RA/ David L. Skeen, Deputy Director Office of International Programs


ML18047A177   *concurrence via-e-mail OFFICE OIP/ECNP OIP/ECNP BC:OIP/ECNP NMSS DD:OIP NAME SBaker JOwens PHabighorst MArribas-Colon
ML18047A177             *concurrence via-e-mail OFFICE   OIP/ECNP OIP/ECNP BC:OIP/ECNP   NMSS             DD:OIP NAME     SBaker   JOwens     PHabighorst MArribas-Colon* DSkeen DATE     02/27/18 02/27/18   02/28/18     02/27/18         02/28/18}}
* DSkeen DATE 02/27/18 02/27/18 02/28/18 02/27/18 02/28/18}}

Latest revision as of 21:17, 21 October 2019

Letter to Patrick Bailey Re Jurisdictional Determination of Norm and Tenorm
ML18047A177
Person / Time
Issue date: 02/28/2018
From: David Skeen
NRC/OIP
To: Bailey P
Lotus
Baker S -- 287 9059
References
Download: ML18047A177 (2)


Text

February 28, 2018 Mr. Patrick Bailey Lotus, LLC 13617 N Hwy 171 Cresson, TX 76035

Dear Mr. Bailey:

This letter is in response to the inquiry you submitted via the U.S. Nuclear Regulatory Commissions (NRCs) webpage e-mail on January 18, 2018, and the follow-up e-mail submitted on February 14, 2018, to confirm the licensing jurisdiction for imports of Naturally Occurring Radioactive Material (NORM) and Technologically Enhanced Naturally Occurring Radioactive Materials (TENORM). You indicated your company is licensed and permitted to dispose of NORM/TENORM for the gas and oil industry.

Under NRCs regulations, Title 10 of the Code of Federal Regulations (CFR) Part 110.2, Definitions, Radioactive waste, for the purposes of this part, means any material that contains or is contaminated with source, byproduct or special nuclear material that by its possession would require a specific radioactive material license in accordance with this Chapter.

To the extent that possession of this material does not require a specific NRC or Agreement state radioactive materials possession license, it would not meet the above definition of radioactive waste.

If you have questions regarding the CFR materials possession regulations, I will be happy to refer you to a contact in the NRCs Office of Nuclear Materials Management and Safeguards.

Please feel free to contact me at (301) 287-9056 or Mr. Stephen Baker of my staff at (301) 287-9059.

Sincerely,

/RA/

David L. Skeen, Deputy Director Office of International Programs

ML18047A177 *concurrence via-e-mail OFFICE OIP/ECNP OIP/ECNP BC:OIP/ECNP NMSS DD:OIP NAME SBaker JOwens PHabighorst MArribas-Colon* DSkeen DATE 02/27/18 02/27/18 02/28/18 02/27/18 02/28/18