RS-23-120, Supplemental Information Letter for Part 73 Exemption Request - Responses to Request for Confirmatory Information: Difference between revisions

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{{#Wiki_filter:200 Exelon Way Kennett Square, PA 19348
{{#Wiki_filter:200 Exelon Way Kennett Square, PA 19348 www.constellation.com 10 CFR 73.5 RS-23-120 November 10, 2023 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555 LaSalle County Station, Units 1 and 2 Renewed Facility Operating License Nos. NPF-11 and NPF-18 NRC Docket Nos. 50-373 and 50-374  
 
www.constellation.com
 
10 CFR 73.5
 
RS-23-120
 
November 10, 2023
 
U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555
 
LaSalle County Station, Units 1 and 2 Renewed Facility Operating License Nos. NPF-11 and NPF-18 NRC Docket Nos. 50-373 and 50-374


==Subject:==
==Subject:==
Supplemental Information Letter for Part 73 Exemption Request - Responses to Request for Confirmatory Information
Supplemental Information Letter for Part 73 Exemption Request - Responses to Request for Confirmatory Information  


==References:==
==References:==
: 1. Letter from D. Gudger (Constellation Energy Generation, LLC) to U.S.
: 1. Letter from D. Gudger (Constellation Energy Generation, LLC) to U.S.
Nuclear Regulatory Commission, "Request for Exemption from Enha nced Weapons, Firearms Background Checks, and Security Event Notific ations Implementation," dated October 13, 2023 (ML23286A042)
Nuclear Regulatory Commission, "Request for Exemption from Enhanced Weapons, Firearms Background Checks, and Security Event Notifications Implementation," dated October 13, 2023 (ML23286A042)
: 2. Email from Scott Wall (NRC Senior Project Manager) to Ron Re ynolds (Constellation Energy Generation, LLC), "Final RCI - Constellat ion Energy Generation, LLC - LaSalle 1 & 2 - Exemption from Security Rule, " dated October 30, 2023 (ML23304A016)
: 2. Email from Scott Wall (NRC Senior Project Manager) to Ron Reynolds (Constellation Energy Generation, LLC), "Final RCI - Constellation Energy Generation, LLC - LaSalle 1 & 2 - Exemption from Security Rule," dated October 30, 2023 (ML23304A016)
 
By {{letter dated|date=October 13, 2023|text=letter dated October 13, 2023}} (Reference 1), Constellation Energy Generation, LLC (CEG) requested an exemption for LaSalle County Station (LSCS), Units 1 and 2, from the compliance date of January 8, 2024, for the new security Rule, "Enhanced Weapons, Firearms Background Checks, and Security Event Notifications." The requested exemption was based on the NRC's projected timeline for completion of revision to the applicable Regulatory Guides associated with the new rule, and the time necessary for LSCS to process change management adequately to include the number of training weeks that will be required to implement the Rule. LSCS requested a new compliance date of December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
By {{letter dated|date=October 13, 2023|text=letter dated October 13, 2023}} (Reference 1), Constellation E nergy Generation, LLC (CEG) requested an exemption for LaSalle County Station (LSCS), Units 1 and 2, from the compliance date of January 8, 2024, for the new security Rule, "Enhanced W eapons, Firearms Background Checks, and Security Event Notifications." The requested exemp tion was based on the NRC's projected timeline for completion of revision to the applicable Regulatory Guides associated with the new rule, and the time necessary for LSCS to process change management adequately to include the number of training weeks that will be required to implement the Rule. LSCS requested a new compliance date of December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
On October 24, 2023, the NRC issued, via email, a draft Request for Confirmatory Information (RCI) for the Byron Station. A clarification call with the NRC and CEG was held on October 25, 2023, resulting in a formal RCI request for Byron and the NRC also issuing a formal RCI on October 30, 2023, for LSCS (Reference 2).  
 
On October 24, 2023, the NRC issued, via email, a draft Request for Confirmatory Information (RCI) for the Byron Station. A clarification call with the NRC and CEG was held on October 25, 2023, resulting in a formal RCI request for Byron and the NRC a lso issuing a formal RCI on October 30, 2023, for LSCS (Reference 2).
 
U.S. Nuclear Regulatory Commission Supplemental Information Letter Responses to Request for Confirmatory Information NRC Docket Nos. 50-373 and 50-374 November 10, 2023 Page 2
 
The Attachment to this supplemental information letter provides responses to the RCI provided in Reference 2.


U.S. Nuclear Regulatory Commission Supplemental Information Letter Responses to Request for Confirmatory Information NRC Docket Nos. 50-373 and 50-374 November 10, 2023 Page 2 The Attachment to this supplemental information letter provides responses to the RCI provided in Reference 2.
There are no regulatory commitments contained in this supplement.
There are no regulatory commitments contained in this supplement.
 
If you should have any questions concerning this submittal, please contact Richard Gropp at (267) 533-5642.
If you should have any questions concerning this submittal, ple ase contact Richard Gropp at (267) 533-5642.
Respectfully, David P. Helker Sr. Manager, Licensing Constellation Energy Generation, LLC  
 
Respectfully,
 
David P. Helker Sr. Manager, Licensing Constellation Energy Generation, LLC


==Attachment:==
==Attachment:==
Supplemental Information Letter
Supplemental Information Letter cc:
 
w/ Attachment U.S. NRC Region III, Regional Administrator U.S. Senior Resident Inspector, LaSalle County Station U.S. NRC Project Manager, LaSalle County Station Illinois Emergency Management Agency - Division of Nuclear Safety  
cc: w/ Attachment U.S. NRC Region III, Regional Administrator U.S. Senior Resident Inspector, LaSalle County Station U.S. NRC Project Manager, LaSalle County Station Illinois Emergency Management Agen cy - Division of Nuclear Safety
 
Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 1 of 3 NRC Docket Nos. 50-373 and 50-374
 
SUPPLEMENTAL INFORMATION


This Supplemental Information provides responses to the Request for Confirmatory Information (RCI) provided by the NRC in Reference 2. Each confirmatory request is provided below followed by CEG's response.
Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 1 of 3 NRC Docket Nos. 50-373 and 50-374 SUPPLEMENTAL INFORMATION This Supplemental Information provides responses to the Request for Confirmatory Information (RCI) provided by the NRC in Reference 2. Each confirmatory request is provided below followed by CEG's response.
: 1. Regarding CEGs request for exemption from the January 8, 2024, compliance date, please confirm the following:
: 1. Regarding CEGs request for exemption from the January 8, 2024, compliance date, please confirm the following:
o CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in your submission; that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
o CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in your submission; that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
CEG Response:
CEG Response:
Yes, CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in LaSalle's submittal dated October 13, 2023 (ML23286A042), that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
Yes, CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in LaSalle's submittal dated October 13, 2023 (ML23286A042), that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.
o CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemption of Firearms Laws," and 10 CFR 73.17, "Firearms Background Checks for Armed Security Personnel."
o CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemption of Firearms Laws," and 10 CFR 73.17, "Firearms Background Checks for Armed Security Personnel."
CEG Response:
CEG Response:
Correct, CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemptio n of Firearms Laws,"
Correct, CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemption of Firearms Laws,"
and 10 CFR 73.17, "Firearms Background Checks for Armed Securit y Personnel."
and 10 CFR 73.17, "Firearms Background Checks for Armed Security Personnel."
 
o CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeeping," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10 CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeeping of Physical Security Events," and "Suspicious Activity Reports," 10 CFR 73.1215(a) through 10 CFR 73.1215(f) until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides.
o CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeeping," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10 CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeepin g of Physical Security Events," and "Suspicious Activity Reports," 10 CFR 73.1215(a) through 10 CFR 73.1215(f) until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides.
 
CEG Response:
CEG Response:
Yes, CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeep ing," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10 Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 2 of 3 NRC Docket Nos. 50-373 and 50-374
Yes, CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeeping," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10  
 
CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeeping of P hysical Security Events," and 10 CFR 73.1215(a) through 10 CFR 73.1215(f), "Susp icious Activity Reports,"
until the later of December 31, 2024, or 180 days after publica tion of the final Regulatory Guides.


Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 2 of 3 NRC Docket Nos. 50-373 and 50-374 CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeeping of Physical Security Events," and 10 CFR 73.1215(a) through 10 CFR 73.1215(f), "Suspicious Activity Reports,"
until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides.
o CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"
o CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"
until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.
until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.
CEG Response:
CEG Response:
Yes, CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"
Yes, CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"
until the later of December 31, 2024, or 180 days after publica tion of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.
until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.
: 2. Confirm that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the suspension of security measures.
: 2. Confirm that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the suspension of security measures.
CEG Response:
CEG Response:
CEG confirms that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the s uspension of security measures.
CEG confirms that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the suspension of security measures.
 
o Confirm that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards Events," and Appendix G to Part 73, "Reportable Safeguards Events."
o Confirm that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards Events," and Appendix G to Part 73, "Reportable Safeguards Events."
CEG Response:
CEG Response:
CEG confirms that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards E vents," and Appendix G to Part 73, "Reportable Safeguards Events."
CEG confirms that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards Events," and Appendix G to Part 73, "Reportable Safeguards Events."
 
o Confirm that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Programs at Nuclear Power Reactors."
o Confirm that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Programs at Nuclear Power Reactors."
CEG Response:
CEG Response:
CEG confirms that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Program s at Nuclear Power Reactors."
CEG confirms that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Programs at Nuclear Power Reactors."  


Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 3 of 3 NRC Docket Nos. 50-373 and 50-374
Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 3 of 3 NRC Docket Nos. 50-373 and 50-374
: 3. Confirm that when LaSalle states that it is implementing the new Access Authorization Rule it actually means that it is implementing the new 2022 10 CFR Part 26 Fitness for Du ty Rule (87 FR 71422, November 22, 2022)?
: 3. Confirm that when LaSalle states that it is implementing the new Access Authorization Rule it actually means that it is implementing the new 2022 10 CFR Part 26 Fitness for Duty Rule (87 FR 71422, November 22, 2022)?
CEG Response:
CEG Response:
CEG confirms that the statement in its exemption request that " CEG is in the process of implementing the new Access Authorization Rule" was made in error. What the statement intended to say is that CEG is in the process of implementing the new 2022 10 CFR Part 26 Fitness for Duty Rule (87 FR 71422, November 22, 2022).}}
CEG confirms that the statement in its exemption request that "CEG is in the process of implementing the new Access Authorization Rule" was made in error. What the statement intended to say is that CEG is in the process of implementing the new 2022 10 CFR Part 26 Fitness for Duty Rule (87 FR 71422, November 22, 2022).}}

Latest revision as of 07:52, 25 November 2024

Supplemental Information Letter for Part 73 Exemption Request - Responses to Request for Confirmatory Information
ML23317A106
Person / Time
Site: LaSalle  Constellation icon.png
Issue date: 11/10/2023
From: David Helker
Constellation Energy Generation
To:
Office of Nuclear Reactor Regulation, Document Control Desk
References
RS-23-120
Download: ML23317A106 (1)


Text

200 Exelon Way Kennett Square, PA 19348 www.constellation.com 10 CFR 73.5 RS-23-120 November 10, 2023 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555 LaSalle County Station, Units 1 and 2 Renewed Facility Operating License Nos. NPF-11 and NPF-18 NRC Docket Nos. 50-373 and 50-374

Subject:

Supplemental Information Letter for Part 73 Exemption Request - Responses to Request for Confirmatory Information

References:

1. Letter from D. Gudger (Constellation Energy Generation, LLC) to U.S.

Nuclear Regulatory Commission, "Request for Exemption from Enhanced Weapons, Firearms Background Checks, and Security Event Notifications Implementation," dated October 13, 2023 (ML23286A042)

2. Email from Scott Wall (NRC Senior Project Manager) to Ron Reynolds (Constellation Energy Generation, LLC), "Final RCI - Constellation Energy Generation, LLC - LaSalle 1 & 2 - Exemption from Security Rule," dated October 30, 2023 (ML23304A016)

By letter dated October 13, 2023 (Reference 1), Constellation Energy Generation, LLC (CEG) requested an exemption for LaSalle County Station (LSCS), Units 1 and 2, from the compliance date of January 8, 2024, for the new security Rule, "Enhanced Weapons, Firearms Background Checks, and Security Event Notifications." The requested exemption was based on the NRC's projected timeline for completion of revision to the applicable Regulatory Guides associated with the new rule, and the time necessary for LSCS to process change management adequately to include the number of training weeks that will be required to implement the Rule. LSCS requested a new compliance date of December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.

On October 24, 2023, the NRC issued, via email, a draft Request for Confirmatory Information (RCI) for the Byron Station. A clarification call with the NRC and CEG was held on October 25, 2023, resulting in a formal RCI request for Byron and the NRC also issuing a formal RCI on October 30, 2023, for LSCS (Reference 2).

U.S. Nuclear Regulatory Commission Supplemental Information Letter Responses to Request for Confirmatory Information NRC Docket Nos. 50-373 and 50-374 November 10, 2023 Page 2 The Attachment to this supplemental information letter provides responses to the RCI provided in Reference 2.

There are no regulatory commitments contained in this supplement.

If you should have any questions concerning this submittal, please contact Richard Gropp at (267) 533-5642.

Respectfully, David P. Helker Sr. Manager, Licensing Constellation Energy Generation, LLC

Attachment:

Supplemental Information Letter cc:

w/ Attachment U.S. NRC Region III, Regional Administrator U.S. Senior Resident Inspector, LaSalle County Station U.S. NRC Project Manager, LaSalle County Station Illinois Emergency Management Agency - Division of Nuclear Safety

Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 1 of 3 NRC Docket Nos. 50-373 and 50-374 SUPPLEMENTAL INFORMATION This Supplemental Information provides responses to the Request for Confirmatory Information (RCI) provided by the NRC in Reference 2. Each confirmatory request is provided below followed by CEG's response.

1. Regarding CEGs request for exemption from the January 8, 2024, compliance date, please confirm the following:

o CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in your submission; that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.

CEG Response:

Yes, CEG is requesting an exemption for LaSalle from specific requirements, as described below, associated with the final rule for Enhanced Weapons, Firearms Background Checks, and Security Event Notifications, as identified in LaSalle's submittal dated October 13, 2023 (ML23286A042), that would defer compliance with those provisions until December 31, 2024, or 180 days after publication of final Regulatory Guides, whichever is later.

o CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemption of Firearms Laws," and 10 CFR 73.17, "Firearms Background Checks for Armed Security Personnel."

CEG Response:

Correct, CEG is not requesting an extension to the compliance date for LaSalle for specific requirements in Title 10 of the Code of Federal Regulations (10 CFR) Part 73, Subpart B, "Enhanced Weapons, Preemption, and Firearms Background Checks," described in 10 CFR 73.15, "Authorization for Use of Enhanced Weapons and Preemption of Firearms Laws,"

and 10 CFR 73.17, "Firearms Background Checks for Armed Security Personnel."

o CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeeping," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10 CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeeping of Physical Security Events," and "Suspicious Activity Reports," 10 CFR 73.1215(a) through 10 CFR 73.1215(f) until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides.

CEG Response:

Yes, CEG is requesting an exemption for LaSalle from specific requirements in 10 CFR Part 73, Subpart T, "Security Notifications, Reports, and Recordkeeping," 10 CFR 73.1200(a) through 10 CFR 73.1200(t), "Notification of Physical Security Events," 10 CFR 73.1205(a)(1) through 10 CFR 73.1205(e), "Written Follow-up Reports of Physical Security Events," 10

Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 2 of 3 NRC Docket Nos. 50-373 and 50-374 CFR 73.1210(a)(1) through10 CFR 73.1210(h), "Recordkeeping of Physical Security Events," and 10 CFR 73.1215(a) through 10 CFR 73.1215(f), "Suspicious Activity Reports,"

until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides.

o CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"

until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.

CEG Response:

Yes, CEG is requesting an exemption for LaSalle from using the definitions for the terms "Contraband," and "Time of Discovery" as recently revised in 10 CFR 73.2, "Definitions,"

until the later of December 31, 2024, or 180 days after publication of the final Regulatory Guides. The exemption would not apply to the definitions of those terms that were in effect prior to the issuance of the 2023 revisions.

2. Confirm that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the suspension of security measures.

CEG Response:

CEG confirms that the current LaSalle site security plan implements the requirements of 10 CFR 73.71, "Reporting of Safeguards Events" for reporting the suspension of security measures.

o Confirm that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards Events," and Appendix G to Part 73, "Reportable Safeguards Events."

CEG Response:

CEG confirms that LaSalle will continue to comply with security event reporting, as previously required in 10 CFR 73.71, "Reporting of Safeguards Events," and Appendix G to Part 73, "Reportable Safeguards Events."

o Confirm that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Programs at Nuclear Power Reactors."

CEG Response:

CEG confirms that LaSalle will use the definitions for the terms "Contraband" and "Discovery (time of)" in its site security plan consistent with how these terms are currently defined in Regulatory Guide 5.76, Revision 1, "Physical Protection Programs at Nuclear Power Reactors."

Supplemental Information Letter Attachment Responses to Request for Confirmatory Information Page 3 of 3 NRC Docket Nos. 50-373 and 50-374

3. Confirm that when LaSalle states that it is implementing the new Access Authorization Rule it actually means that it is implementing the new 2022 10 CFR Part 26 Fitness for Duty Rule (87 FR 71422, November 22, 2022)?

CEG Response:

CEG confirms that the statement in its exemption request that "CEG is in the process of implementing the new Access Authorization Rule" was made in error. What the statement intended to say is that CEG is in the process of implementing the new 2022 10 CFR Part 26 Fitness for Duty Rule (87 FR 71422, November 22, 2022).