|
---|
Category:Agreement States-Regulations Review
MONTHYEARML23135A1582023-05-11011 May 2023 5-11-2023 Receipt of Colorado Proposed Regulations Pertaining to Radiation Control, 6 CCR 1007-1, Part 4 (Standards for Protection Against Radiation) ML22306A1372022-11-0101 November 2022 MD Regulations Supplement 32 ML22298A0072022-10-24024 October 2022 Receipt of North Carolina Proposed Regulations to 2013-1, 2015-2, 2018-2, 2018-3, 2019-1, 2019-2, 2020-1, 2020-3, 2021-1, and 2021-2 ML22244A0042022-08-30030 August 2022 Rats 2019-1 NRC Comparison ML22245A0112022-08-30030 August 2022 NRC Matrix of Revisions ML22243A2132022-08-30030 August 2022 New Mexico Regulations Title 20 Chapter 3 Part 3 (Amended) ML22243A2182022-08-30030 August 2022 New Mexico Regulations Title 20 Chapter 3 Part 5 (Amended) ML22243A2382022-08-30030 August 2022 New Mexico Regulations Title 20 Chapter 3 Part 7 (Amended) ML22243A2402022-08-30030 August 2022 New Mexico Regulations Title 20 Chapter 3 Part 12 (Amended) ML22243A2412022-08-30030 August 2022 New Mexico Regulations Title 20 Chapter 3 Part 15 (Amended) ML22244A0032022-08-30030 August 2022 Rats 2018-3 NRC Comparison ML22244A0062022-08-30030 August 2022 Rats 2019-2 NRC Comparison ML20072L6682022-08-24024 August 2022 Kansas Regulation 28-35-181q ML22208A2542022-07-19019 July 2022 or Cross Reference 2018-3 ML22208A2582022-07-19019 July 2022 or Cross Reference 2020-1 ML22208A2612022-07-19019 July 2022 or Cross Reference 2020-2 ML22193A1742022-07-12012 July 2022 07-12-2022 Letter to R Blackwell Re Louisiana Proposed Regulations to Rats IDS 2018-3, 2019-1, 2019-2, and 2020-1 ML22161A9902022-06-0707 June 2022 TCEQ Cross Reference 2020-3 ML22159A3222022-06-0707 June 2022 CA Cross Reference 2021-2 ML22157A4462022-06-0303 June 2022 New Jersey Regulations Subchapter 59 ML22157A4472022-06-0303 June 2022 New Jersey Regulations Proposed Subchapter 59 ML22157A4182022-06-0202 June 2022 Co Cross Reference 2021-1, Miscellaneous Corrections ML22151A2332022-05-31031 May 2022 Ohio Regulations 3701 1-52-20 ML22151A2312022-05-31031 May 2022 Ohio Regulations 3701 1-49-20 ML22151A2272022-05-31031 May 2022 Ohio Regulations 3701 1-48-23 ML22151A2112022-05-31031 May 2022 Ohio Regulations 3701 1-48-19 ML22136A2252022-05-11011 May 2022 MD Regulations 26.12.01.01 ML22136A0202022-05-10010 May 2022 Wisconsin Subchapter IV 157 35 to 48 Draft ML22136A1762022-05-10010 May 2022 Wisconsin Subchapter Xv 157 9700 to 9718 Draft ML22136A1672022-05-10010 May 2022 Wisconsin Subchapter VII 157 73 Draft ML22136A1532022-05-10010 May 2022 Wisconsin Subchapter VI 157 59 to 72 Draft ML22136A1512022-05-10010 May 2022 Wisconsin Subchapter V 157 51 to 56 Draft ML22136A0382022-05-10010 May 2022 Wisconsin Subchapter III 157 20 to 33 Draft ML22133A2152022-05-10010 May 2022 Wisconsin Subchapter II 157 09-15 Draft ML22133A2092022-05-10010 May 2022 Wisconsin Cross Reference ML22131A2712022-05-0909 May 2022 Georgia Regulations Markup 2021 ML22097A1022022-03-30030 March 2022 Maryland Cross Reference 2020-3 ML22097A1002022-03-30030 March 2022 Maryland Cross Reference 2020-2 ML22097A0972022-03-30030 March 2022 Maryland Cross Reference 2020-1 ML22097A0952022-03-30030 March 2022 Maryland Cross Reference 2019-1 ML22097A0912022-03-30030 March 2022 Maryland Cross Reference 2018-3 ML22097A0782022-03-30030 March 2022 Maryland Responses to NRC Letters 2018-1/2018-2 ML22097A0762022-03-30030 March 2022 Maryland Regulations Supplement 32 Draft ML22067A1962022-03-0808 March 2022 Washington Regulations Ch 246-232 ML22066A3742022-03-0404 March 2022 CRCPD Part T Rationale ML22066A3102022-03-0404 March 2022 CRCPD Part T ML22060A2122022-02-28028 February 2022 Maryland Regulations 26.12.01.01 ML22060A2032022-02-28028 February 2022 Maryland Final Regulations Supplement 31 ML22026A3652022-01-26026 January 2022 CRCPD Part D Draft ML22026A3612022-01-26026 January 2022 CRCPD Part a Draft 2023-05-11
[Table view]Some use of "" in your query was not closed by a matching "". |
Text
NYS DEC Response to NRC Compatibility Comments on Proposed Amendment to Part 380 Regulations The New York State Department of Environmental Conservation (DEC) is one of three agencies within the state that in the environment; DEC does not issue radioactive materials licenses. As such, DEC is only authorized to adopt those rules, or portions of those rules, that are applicable to the regulation of radioactive material in the environment. Recent Communication Between DEC and NRC On March 29, 2017 DEC submitted its proposed amendments to the 6 NYCRR Part 380 regulations, Prevention and Control of Environmental Pollution by Radioactive Materials to NRC for review and comment. On May 9, 2017 NRC provided DEC with comments on three provisions , and issued an updated State Regulatory Status (SRS) for DEC which reflected those comments. DEC does not agree with two of comments, as explained below. Notification of Incidents (RATS 1991-4) As stated by NRC in the previous SRS for DEC The reason DEC does not need to adopt this provision is because it is already covered by the State licensing agencies, which captures the universe of regulated parties within the State. Nonetheless, DEC included a Notification of Incidents provision in the proposed (and final) amendment to Part 380; the notification threshold in the proposed amendment is significantly s, to require reporting of environmental release incidents of interest to DEC. However, comment stated that DEC needed to replace its proposal to require notification of incidents . DEC disagrees with comment, because this requirement does not need to be adopted by DEC at all. Even if DEC were required to adopt this provision (which is not the case), this is a Category C provision - the essential objectives of the program element should be adopted by the State to avoid conflicts, duplications or gaps; the manner in which the essential objectives are addressed need not be the same as NRC. In addition, the notification On March 22, 2018, NRC revised the SRS for DEC to Definition: Public Dose (RATS 1995-5) DEC regarding this provision and has added to the final rule as suggested by NRC. Deliberate Misconduct (RATS 1998-1) NRC made two comments regarding this provision. comment, because these terms are included in the proposed (and final) rule. Please see proposed Section 380-10.8(a) which stateshis section applies to the following persons and their employees(emphasis added). DEC regarding this provision, and has added to the final rule as suggested by NRC.