ML20137P595: Difference between revisions
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I | I 9 | ||
From: | |||
Christopher Grimes, Afgjt, l | |||
To: | |||
WNP3. LAW Leonard Wiens, NRR | |||
-Date: | |||
5/23/96 10:20am | |||
==Subject:== | ==Subject:== | ||
TS POLICY QUESTION -Reply i | TS POLICY QUESTION -Reply i | ||
I Various parts of the Inspection Manual, inspection Guidance (Section 9900 of the manual). | |||
conditions, they can institute an admin procedure to ensure the more restrictive conditions continue to be satisfied until.a timely application for a license amendment can be | and the Enforcement Manual direct the inspector to determine that (1) if the plant.is | ||
processed. My explanation is a little different than yours, because I would differentiate the "outside design basis" condition. I believe this explanation can be derived from the existing inspection procedures; but I don't want.to take the time to research all that | ' n a manner that is not explicitly addressed by the j | ||
operating "outside the design basis" i | |||
tech specs, the licensee is expected to enter 3.0.3 and shutdown the plant or (2) if, during i | |||
TIA that would compel PIPB and TSB to add these details to the inspection procedures. | the normal course of updating the design and procedures, the licensee' finds that the license l | ||
CC: | requirements (including TS) are not adequate and need to be more conservative, but thev otherwise are coeratino the olant in arenrdance with the TS and the more conservative conditions, they can institute an admin procedure to ensure the more restrictive conditions continue to be satisfied until.a timely application for a license amendment can be processed. My explanation is a little different than yours, because I would differentiate the "outside design basis" condition. I believe this explanation can be derived from the existing inspection procedures; but I don't want.to take the time to research all that | ||
.' material to identify all the different ways it is addressed. If Mr. Miller, or anyone else | |||
-in the Region prone to more explicit literal compliance instructions, believes that this point is not described adequately in those procedures, they may want to consider a formal TIA that would compel PIPB and TSB to add these details to the inspection procedures. | |||
1 | CC: | ||
9704090279 970407 | TSBStaff. WNP6.JRG 1 | ||
PDR | 9 4 | ||
l 1 | |||
9704090279 970407 M | |||
PDR FOIA P | |||
BINDER 96-405 PDR | |||
<}} | |||
Latest revision as of 22:32, 11 December 2024
| ML20137P595 | |
| Person / Time | |
|---|---|
| Issue date: | 05/23/1996 |
| From: | Charemagne Grimes NRC (Affiliation Not Assigned) |
| To: | Wiens L NRC (Affiliation Not Assigned) |
| Shared Package | |
| ML20137P228 | List: |
| References | |
| FOIA-96-485 NUDOCS 9704090279 | |
| Download: ML20137P595 (1) | |
Text
-
I 9
From:
Christopher Grimes, Afgjt, l
To:
WNP3. LAW Leonard Wiens, NRR
-Date:
5/23/96 10:20am
Subject:
TS POLICY QUESTION -Reply i
I Various parts of the Inspection Manual, inspection Guidance (Section 9900 of the manual).
and the Enforcement Manual direct the inspector to determine that (1) if the plant.is
' n a manner that is not explicitly addressed by the j
operating "outside the design basis" i
tech specs, the licensee is expected to enter 3.0.3 and shutdown the plant or (2) if, during i
the normal course of updating the design and procedures, the licensee' finds that the license l
requirements (including TS) are not adequate and need to be more conservative, but thev otherwise are coeratino the olant in arenrdance with the TS and the more conservative conditions, they can institute an admin procedure to ensure the more restrictive conditions continue to be satisfied until.a timely application for a license amendment can be processed. My explanation is a little different than yours, because I would differentiate the "outside design basis" condition. I believe this explanation can be derived from the existing inspection procedures; but I don't want.to take the time to research all that
.' material to identify all the different ways it is addressed. If Mr. Miller, or anyone else
-in the Region prone to more explicit literal compliance instructions, believes that this point is not described adequately in those procedures, they may want to consider a formal TIA that would compel PIPB and TSB to add these details to the inspection procedures.
CC:
TSBStaff. WNP6.JRG 1
9 4
l 1
9704090279 970407 M
BINDER 96-405 PDR
<