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9,,,. | |||
' June 15, 1998 I | |||
. Mr. John Haberthy' | |||
' President, United Plant Guard | |||
-Workers of America - | |||
' Local No. 66 385 Adkins Hoffer Hill Road | |||
- Otway, OH '45657. | |||
==SUBJECT:== | ==SUBJECT:== | ||
| Line 33: | Line 34: | ||
==Dear Mr. Haberthy:== | ==Dear Mr. Haberthy:== | ||
' I am responding to your March 2,1998, request that the U.S.' Nuclear Regulatory Commission | |||
'. (NRC) perform a review and provide a written response regarding the subject National Institute for Occupational Safety and Health (NIOSH) Health Hazard Evaluation Report HETA 96-0198- | |||
' 2651 dated September 5,1997. Your March 2 request was made during discussions with the' Portsmouth Senior Resident inspector, Mr. Dave Hartland, and Region ll1 Specialist, Mr. Jay | |||
. Hopkins regarding an earlier request from the previous United Plant Guard Workers of America p | |||
(UPGWA) Safety Representative, Mr. Chick Lawson (Reference 1).' | |||
: The NIOSH report was prepared between November 1996 and February 1997.' As you are - | : The NIOSH report was prepared between November 1996 and February 1997.' As you are - | ||
aware, the NRC did not have regulatory authonty over the Portsmouth Gaseous Diffusion Plant until March 3,1997. The Department of Energy (DOE) had regulatory authority at the time of. | aware, the NRC did not have regulatory authonty over the Portsmouth Gaseous Diffusion Plant until March 3,1997. The Department of Energy (DOE) had regulatory authority at the time of. | ||
the report; therefore, if the UPGWA desires to pursue any regulatory Isa.ues regarding the NIOSH report, I encourage you to discuss the matter with DOE. The NRC regulatory authority ' | |||
) | |||
. extends only to the areas of the Portsmouth plant which are leased by the United States | |||
( Enrichment Corporation (USEC). DOE retains regulatory authority for all non-leased areas of Lthe Portsmouth plant. | ( Enrichment Corporation (USEC). DOE retains regulatory authority for all non-leased areas of Lthe Portsmouth plant. | ||
: The dosimetry programs at the Portsmouth Gaseous Diffusion Plant are consistent with the NRC required National Voluntary Laboratory Accreditation Program and the DOE Laboratory | : The dosimetry programs at the Portsmouth Gaseous Diffusion Plant are consistent with the NRC required National Voluntary Laboratory Accreditation Program and the DOE Laboratory | ||
: Accreditation Program which account for potential neutron doses. ' Under current NRC L regulation 10 CFR Part 20.1502, individual monitoring is not required for adults who are not L | : Accreditation Program which account for potential neutron doses. ' Under current NRC L regulation 10 CFR Part 20.1502, individual monitoring is not required for adults who are not L | ||
l expected to receive more than ten percent of the allowable regulatory liinits identified in 10 CFR Part 20.1201(a). ' The areas leased by USEC which fall under NRC jurisdiction meet the | |||
: requirements of 10 CFR Part 20 such that monitoring is not required. Although not required, the certificate has chosen to monitor for potential neutron exposures. | : requirements of 10 CFR Part 20 such that monitoring is not required. Although not required, the certificate has chosen to monitor for potential neutron exposures. | ||
E The' NIOSH report identified three primary neutron radiation sources at the Portsmouth Gasecus Diffusion Plent.1The most significant acute exposure would result from a criticality | E The' NIOSH report identified three primary neutron radiation sources at the Portsmouth | ||
} | |||
I | Gasecus Diffusion Plent.1The most significant acute exposure would result from a criticality h | ||
! accident. Additionally, an acute exposure can result from a build-up of uranium in the process system causing multiplication of neutrons below the criticality threshold. This phenomenon is termed by the gaseous diffusion industry as a " slow cooker." We believe that an acute L | |||
9906220085 990$[S P | |||
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g PDR.ADOCK 07007002 i | |||
C PDR I | |||
l I | l I | ||
\\ | |||
' J. Haberthy - | |||
7 | 1 l | ||
7 | |||
requirements. | : exposure potential is limited to cases of accidental criticality or an exceptionally strong, E | ||
prolonged, undetected " slow cooker." The chronic exposure to low levels of neutron radiation is j | |||
considered far more likely at the Portsmouth Gaseous Diffusion Plant and within NRC requirements. | |||
I encourage the UPGWA to pursue any issues relating to the Occupational Safety and Health | I encourage the UPGWA to pursue any issues relating to the Occupational Safety and Health | ||
;~ | ;~ | ||
Administration, Department of Labor with them or DOE who had regulatory jurisdiction. | |||
With regards to a pre 0ious commitment to get back to the UPGWA regarding a " legacy issue" | With regards to a pre 0ious commitment to get back to the UPGWA regarding a " legacy issue" | ||
? | ? | ||
L | made during the October 1997 UPGWA meeting between USEC, DOE, and the NRC's Office of - | ||
L | |||
- Nuclear Material Safety and Safeguards, I believe the NRC has most recently responded to L | |||
your questions via letter (Ten Eyck to Haberthy) dated May 4,1998 (Reference 2). | your questions via letter (Ten Eyck to Haberthy) dated May 4,1998 (Reference 2). | ||
If you have any further questions, please contact Mr. Patrick Hiland of my staff at L (630) 829-9603. | If you have any further questions, please contact Mr. Patrick Hiland of my staff at L (630) 829-9603. | ||
Sincere!y, 1 | Sincere!y, 1 | ||
Original. Signed by | Original. Signed by | ||
) | |||
.i Cynthia D. Pederson, Director Division of Nuclear Materials Safety - | |||
j Docket No. 70-7002 Certificate No.' GDP-2 1 | |||
i t | |||
l i | |||
3 | |||
' DOCUMENT NAME:.G:\\SEC\\NIOSH.RPT | |||
*See Previous Concurrences i To receive a copy of this document, Indicate in the box: "C" = Cow w/o atter#encr%* | |||
w/ attach /end *N" = No copy OFFICE Rlll:DNMS l | |||
HQ:NMSS Rill:DNhff l | |||
l NAME | |||
*Hiland:irb | |||
*Pierson Pedhtsd6 DATE 06/ /98-06/ /98 06&v198 OFFICIAL RECORD COPY - | |||
1 J. Ha'berthy c | 1 I | ||
J. Ha'berthy c The NIOSH report identified three primary neutron radiation sources at the Portsmouth Gaseous Diffusion Plant. The most significant acute exposure would result from a criticality accident. | |||
i Additionally, an acute exposure can result from a build-up of uranium in the process system | |||
' causing multiplication of nsutrons below the criticality threshold. This phenomenon is termed by the gaseous diffusion industry as's, " slow cooker." We believe that an acute exposure potential | |||
' is limited to cases of accidental criticality or an exceptionally strong, prolonged, undetected " slow cooker " The chronic exposure to low levels of neutron radiation is considered far more likely at the Portsmouth Gaseous Diffusion Plant, with the exposure levels not constituting a potential health hazard. However, we support the NIOSH report conclusion that neutron radiation can | |||
-occur at the Portsmouth Gaseous Diffusion Plant and exposure to neutrons should be monitored. | |||
i I encourage the UPGWA to pursue issues relating to the Occupational Safety and Health | |||
. Administration, Department of Labor (OSHA-DOL) with them or the DOE who had regulatory | |||
- Jurisdiction. | |||
.With regards to a previous commitment to get back to the UPGWA regarding a " legacy issue" made during the October 1997 UPGWA meeting between USEC, DOE, and the NRC's Office of Nuclear Material Safety and Safeguards (NMSS), I believe the NRC has most recently responded 1 | |||
to your questions via letter (Ten Eyck to Haberthy) dated May 4,1998 (Reference 2). | |||
] | |||
1 If you have any further questions, please contact Mr. Patrick Hiland of my staff at (630) 829-9603. | 1 If you have any further questions, please contact Mr. Patrick Hiland of my staff at (630) 829-9603. | ||
Sincerely, I | Sincerely, I | ||
I Original Signed by-Cynthia D. Pederson, Director - | I Original Signed by-Cynthia D. Pederson, Director - | ||
Division of Nuclear Materials Safety | Division of Nuclear Materials Safety | ||
. Docket No. 70-7002 4 | |||
' Certificate No. GDP-2 DOCUMENT NAME: G:\\SEC\\NIOSH.RPT Ta receive a copy of this document, indicate in the box:"C" = Copy without enclosure "E* = Copy with enclosure"N'= No copy OFFICE Rlll' | |||
- l C-NMSS l C-Rill l | |||
_._.__-_._--___-___-__-_L-- | l NAME Hiland:ib M 4' Pierson @% 4*wil Pederson DATE 06/3/98-06/% /98 ~ | ||
06/ /98 | |||
' 0FFICIAL RECORD COPY e | |||
_._.__-_._--___-___-__-_L--.- | |||
- -___ - ____- ____ __________-__ _-_-__ ______ _______=_- _-_ ________ | |||
. J. Haberthy Distnbution: | |||
Docket File PUBLIC IE-07 R. Pierson, NMSS P. Ting,' NMSS | Docket File PUBLIC IE-07 R. Pierson, NMSS P. Ting,' NMSS | ||
.W. Troskoski, NMSS ' | |||
P. Harich, NMSS | P. Harich, NMSS Y. H. Faraz, NMSS ~ | ||
g C. J. Paperiello, Rlli J. L. Caldwell, Rlll C. D. Pederson, Rill-Rlli Enf. Coordinator R. Bellamy, RI. | |||
C. J. Paperiello, Rlli J. L. Caldwell, Rlll C. D. Pederson, Rill-Rlli Enf. Coordinator R. Bellamy, RI . | |||
EJM, Ril (e-mail) | EJM, Ril (e-mail) | ||
: D. Spitzberg, RIV/WCFO Greens l | : D. Spitzberg, RIV/WCFO Greens l | ||
J l | J l | ||
1 L | 1 L | ||
4}} | |||
Latest revision as of 14:09, 30 November 2024
| ML20249B122 | |
| Person / Time | |
|---|---|
| Site: | Portsmouth Gaseous Diffusion Plant |
| Issue date: | 06/15/1998 |
| From: | Pederson C NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III) |
| To: | Haberthy J AFFILIATION NOT ASSIGNED |
| References | |
| NUDOCS 9806220085 | |
| Download: ML20249B122 (4) | |
Text
..
__.-=_
9,,,.
' June 15, 1998 I
. Mr. John Haberthy'
' President, United Plant Guard
-Workers of America -
' Local No. 66 385 Adkins Hoffer Hill Road
- Otway, OH '45657.
SUBJECT:
NIOSH REPORT HETA 96-0198-2651 DATED SEPTEMBER 5,1997 :
References:
1.; UPGWA letter, Lawson to Cox, dated September 26,1997
- 2. NRC letter, Ten Eyck to Haberthy, dated May 4,1998
Dear Mr. Haberthy:
' I am responding to your March 2,1998, request that the U.S.' Nuclear Regulatory Commission
'. (NRC) perform a review and provide a written response regarding the subject National Institute for Occupational Safety and Health (NIOSH) Health Hazard Evaluation Report HETA 96-0198-
' 2651 dated September 5,1997. Your March 2 request was made during discussions with the' Portsmouth Senior Resident inspector, Mr. Dave Hartland, and Region ll1 Specialist, Mr. Jay
. Hopkins regarding an earlier request from the previous United Plant Guard Workers of America p
(UPGWA) Safety Representative, Mr. Chick Lawson (Reference 1).'
- The NIOSH report was prepared between November 1996 and February 1997.' As you are -
aware, the NRC did not have regulatory authonty over the Portsmouth Gaseous Diffusion Plant until March 3,1997. The Department of Energy (DOE) had regulatory authority at the time of.
the report; therefore, if the UPGWA desires to pursue any regulatory Isa.ues regarding the NIOSH report, I encourage you to discuss the matter with DOE. The NRC regulatory authority '
)
. extends only to the areas of the Portsmouth plant which are leased by the United States
( Enrichment Corporation (USEC). DOE retains regulatory authority for all non-leased areas of Lthe Portsmouth plant.
- The dosimetry programs at the Portsmouth Gaseous Diffusion Plant are consistent with the NRC required National Voluntary Laboratory Accreditation Program and the DOE Laboratory
- Accreditation Program which account for potential neutron doses. ' Under current NRC L regulation 10 CFR Part 20.1502, individual monitoring is not required for adults who are not L
l expected to receive more than ten percent of the allowable regulatory liinits identified in 10 CFR Part 20.1201(a). ' The areas leased by USEC which fall under NRC jurisdiction meet the
- requirements of 10 CFR Part 20 such that monitoring is not required. Although not required, the certificate has chosen to monitor for potential neutron exposures.
E The' NIOSH report identified three primary neutron radiation sources at the Portsmouth
}
Gasecus Diffusion Plent.1The most significant acute exposure would result from a criticality h
! accident. Additionally, an acute exposure can result from a build-up of uranium in the process system causing multiplication of neutrons below the criticality threshold. This phenomenon is termed by the gaseous diffusion industry as a " slow cooker." We believe that an acute L
9906220085 990$[S P
l--
g PDR.ADOCK 07007002 i
C PDR I
l I
\\
' J. Haberthy -
1 l
7
- exposure potential is limited to cases of accidental criticality or an exceptionally strong, E
prolonged, undetected " slow cooker." The chronic exposure to low levels of neutron radiation is j
considered far more likely at the Portsmouth Gaseous Diffusion Plant and within NRC requirements.
I encourage the UPGWA to pursue any issues relating to the Occupational Safety and Health
- ~
Administration, Department of Labor with them or DOE who had regulatory jurisdiction.
With regards to a pre 0ious commitment to get back to the UPGWA regarding a " legacy issue"
?
made during the October 1997 UPGWA meeting between USEC, DOE, and the NRC's Office of -
L
- Nuclear Material Safety and Safeguards, I believe the NRC has most recently responded to L
your questions via letter (Ten Eyck to Haberthy) dated May 4,1998 (Reference 2).
If you have any further questions, please contact Mr. Patrick Hiland of my staff at L (630) 829-9603.
Sincere!y, 1
Original. Signed by
)
.i Cynthia D. Pederson, Director Division of Nuclear Materials Safety -
j Docket No. 70-7002 Certificate No.' GDP-2 1
i t
l i
3
' DOCUMENT NAME:.G:\\SEC\\NIOSH.RPT
- See Previous Concurrences i To receive a copy of this document, Indicate in the box: "C" = Cow w/o atter#encr%*
w/ attach /end *N" = No copy OFFICE Rlll:DNMS l
HQ:NMSS Rill:DNhff l
l NAME
- Hiland:irb
- Pierson Pedhtsd6 DATE 06/ /98-06/ /98 06&v198 OFFICIAL RECORD COPY -
1 I
J. Ha'berthy c The NIOSH report identified three primary neutron radiation sources at the Portsmouth Gaseous Diffusion Plant. The most significant acute exposure would result from a criticality accident.
i Additionally, an acute exposure can result from a build-up of uranium in the process system
' causing multiplication of nsutrons below the criticality threshold. This phenomenon is termed by the gaseous diffusion industry as's, " slow cooker." We believe that an acute exposure potential
' is limited to cases of accidental criticality or an exceptionally strong, prolonged, undetected " slow cooker " The chronic exposure to low levels of neutron radiation is considered far more likely at the Portsmouth Gaseous Diffusion Plant, with the exposure levels not constituting a potential health hazard. However, we support the NIOSH report conclusion that neutron radiation can
-occur at the Portsmouth Gaseous Diffusion Plant and exposure to neutrons should be monitored.
i I encourage the UPGWA to pursue issues relating to the Occupational Safety and Health
. Administration, Department of Labor (OSHA-DOL) with them or the DOE who had regulatory
- Jurisdiction.
.With regards to a previous commitment to get back to the UPGWA regarding a " legacy issue" made during the October 1997 UPGWA meeting between USEC, DOE, and the NRC's Office of Nuclear Material Safety and Safeguards (NMSS), I believe the NRC has most recently responded 1
to your questions via letter (Ten Eyck to Haberthy) dated May 4,1998 (Reference 2).
]
1 If you have any further questions, please contact Mr. Patrick Hiland of my staff at (630) 829-9603.
Sincerely, I
I Original Signed by-Cynthia D. Pederson, Director -
Division of Nuclear Materials Safety
. Docket No. 70-7002 4
' Certificate No. GDP-2 DOCUMENT NAME: G:\\SEC\\NIOSH.RPT Ta receive a copy of this document, indicate in the box:"C" = Copy without enclosure "E* = Copy with enclosure"N'= No copy OFFICE Rlll'
- l C-NMSS l C-Rill l
l NAME Hiland:ib M 4' Pierson @% 4*wil Pederson DATE 06/3/98-06/% /98 ~
06/ /98
' 0FFICIAL RECORD COPY e
_._.__-_._--___-___-__-_L--.-
- -___ - ____- ____ __________-__ _-_-__ ______ _______=_- _-_ ________
. J. Haberthy Distnbution:
Docket File PUBLIC IE-07 R. Pierson, NMSS P. Ting,' NMSS
.W. Troskoski, NMSS '
P. Harich, NMSS Y. H. Faraz, NMSS ~
g C. J. Paperiello, Rlli J. L. Caldwell, Rlll C. D. Pederson, Rill-Rlli Enf. Coordinator R. Bellamy, RI.
EJM, Ril (e-mail)
- D. Spitzberg, RIV/WCFO Greens l
J l
1 L
4