ML19204A297

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Memo to Management Review Board Arkansas Follow-up FY2019 Proposed Final Report
ML19204A297
Person / Time
Site: Arkansas Nuclear  Entergy icon.png
Issue date: 07/31/2019
From: Paul Michalak
NRC/NMSS/DMSST/ASPB
To: David Lew, Mary Spencer, Khadijah West, Kevin Williams
NRC/EDO/DEDMRT, Office of Nuclear Material Safety and Safeguards, NRC/OGC, NRC Region 1
Johnson R
References
Download: ML19204A297 (23)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 July 31, 2019 MEMORANDUM TO: K. Steven West Deputy Executive Director for Materials, Waste, Research, State, Tribal, Compliance, Administration, and Human Capital Programs Office of the Executive Director for Operations Mary B. Spencer, Assistant General Counsel for Reactor and Materials Rulemaking Office of the General Counsel Kevin Williams, Deputy Director Division of Materials Safety, Security, State, and Tribal Programs Office of Nuclear Material Safety and Safeguards David C. Lew, Regional Administrator Region FROM: Paul Michalak, Chief /RA/

State Agreement and Liaison Programs Branch Division of Materials Safety, Security, State, and Tribal Programs Office of Nuclear Material Safety and Safeguards

SUBJECT:

INTEGRATED MATERIALS PERFORMANCE EVALUATION PROGRAM REVIEW OF ARKANSAS This memorandum transmits to the Management Review Board (MRB) the proposed final report (Enclosure 1) documenting the Integrated Materials Performance Evaluation Program (IMPEP) review of the State of Arkansas. This IMPEP review was a follow-up review which focused on the performance indicator, Technical Quality of Licensing Actions. The review was conducted by a team of U.S. Nuclear Regulatory Commission (NRC) and Agreement State technical staff during the period of May 21-23, 2019. The teams preliminary findings were discussed with representatives of the State of Arkansas on the last day of the review. The team issued a draft report to Arkansas on June 17, 2019, for factual comment. Arkansas responded to the draft report by letter dated July 15, 2019, from Nathaniel Smith, M.D., Secretary of Health, Arkansas Department of Health (Enclosure 2).

CONTACT: Robert K. Johnson, NMSS/MSST (301) 415-7314

MRB Members Overall, the team is recommending that Arkansass performance be found satisfactory, but needs improvement for the performance indicator reviewed. Accordingly, the team recommends that the Arkansas Agreement State Program be found adequate to protect public health and safety and compatible with the NRC's program. In addition, due to the progress that Arkansas has made in improving its licensing program, the team recommends that the period of monitoring be discontinued. The team recommends that the next IMPEP review take place in approximately 2 years with a periodic meeting in approximately 1 year.

The MRB meeting to consider the Arkansass report is scheduled for Thursday, August 8, 2019, from 1:00 p.m. to 4:00 p.m. ET, OWFN-03B04. In accordance with Management Directive 5.6, the meeting is open to the public. The agenda for the meeting is enclosed (Enclosure 3).

Enclosures:

1. Arkansas Proposed Final Report
2. Arkansas Response to Draft Follow-Up IMPEP Report
3. Agenda for MRB Meeting cc: Stephen James, Supervisor Radiation Materials Program Ohio Department of Health Organization of Agreement States Liaison to the MRB

MRB Members

SUBJECT:

INTEGRATED MATERIALS PERFORMANCE EVALUATION PROGRAM REVIEW OF ARKANSAS DATED:

Distribution: (SP08)

JLubinski, NMSS AKock, NMSS KWilliams, NMSS LRoldán-Otero, NMSS VDanese, TX RErickson, RIV RidsEdoMail RidsOgcMailCenter RidsNMSSOD RidsRgn1MailCenter RidsRgn4MailCenter AStrainingandtravel.Resource@nrc.gov State of Arkansas ML19204A297 OFFICE TL: SALPB ASPB:PM ASPB:LA SALPB:BC NAME MBeardsley RJohnson KMeyer PMichalak DATE 7/12/19 7/22/19 7/22/19 7/31/19 OFFICIAL RECORD COPY

INTEGRATED MATERIALS PERFORMANCE EVALUATION PROGRAM FOLLOW-UP REVIEW OF THE ARKANSAS AGREEMENT STATE PROGRAM May 21 - May 23, 2019 PROPOSED FINAL REPORT Enclosure 1

EXECUTIVE

SUMMARY

The results of the Integrated Materials Performance Evaluation Program (IMPEP) follow-up review of the Arkansas Agreement State Program (Arkansas) are contained in this report. The review was conducted during the period of May 21-May 23, 2019 and focused on the performance indicator, Technical Quality of Licensing Actions.

Based on the results of this review, Arkansass performance was found satisfactory, but needs improvement for the indicator, Technical Quality of Licensing Actions.

The team recommended that three of the four recommendations from the 2017 IMPEP be closed (see Section 2.0), and recommended that a modified version of the fourth recommendation remain (see Section 4.0). The team did not make any new recommendations as a result of this follow-up review.

A Periodic Meeting was held concurrently to discuss the status of other performance indicators not evaluated as part of the follow-up IMPEP review (see Appendix B).

Accordingly, the team recommends that Arkansas be found adequate to protect public health and safety, and compatible with the NRC's program. Due to the progress that Arkansas has made in improving its licensing program, the team recommends that the period of monitoring be discontinued. The team recommends that the next full IMPEP review take place in approximately 2 years from this review. In addition, the team recommends that a Periodic Meeting should be scheduled in approximately 1 year to assess Arkansass continued progress.

Arkansas Follow-up Proposed Final IMPEP Report Page 1

1.0 INTRODUCTION

This Arkansas Agreement State Program (Arkansas) follow-up IMPEP review was conducted during the period of May 21-23, 2019, by a team comprised of technical staff members from the U.S. Nuclear Regulatory Commission (NRC) and the State of Texas.

Team members are identified in Appendix A. The team examined the progress made by Arkansas to address the performance issues that were identified during the 2017 IMPEP review regarding the indicator, Technical Quality of Licensing Actions. The follow-up review was conducted in accordance with the Agreement State Program Policy Statement, published in the Federal Register on October 18, 2017, and NRC Management Directive 5.6 (MD 5.6), Integrated Materials Performance Evaluation Program (IMPEP), dated February 26, 2004. Preliminary results of the follow-up review, which covered the period of December 2, 2017 to May 23, 2019, were discussed with Arkansas managers on the last day of the review.

In preparation for the follow-up review, a questionnaire addressing the common performance indicator, Technical Quality of Licensing Actions, was sent to Arkansas on November 13, 2018. Arkansas provided its response to the questionnaire on May 13, 2019. A copy of the questionnaire response is available in the NRCs Agencywide Documents Access and Management System (ADAMS) using the Accession Number ML19135A442.

Arkansas is administered by the Radioactive Materials Program (the Program). The Program is one of three organizations within the Radiation Control Section, which is part of the Health Systems Licensing and Regulation Branch. The Health Systems Licensing and Regulation Branch is part of the Center for Health Protection, which is within the Arkansas Department of Health (the Department). The director of the Department is the State Health Officer, who reports to the governor. Organization charts for Arkansas are available in ADAMS using Accession Number ML17355A167.

At the time of the review, Arkansas regulated 176 specific licenses authorizing possession and use of radioactive materials. The review focused on the radioactive materials program as it is carried out under the Section 274b. of the Atomic Energy Act of 1954, as amended, Agreement between the NRC and the State of Arkansas.

The team evaluated the information gathered against the established criteria for the performance indicator, Technical Quality of Licensing Actions, and made a preliminary assessment of the Arkansas Agreement State Programs performance.

2.0 PREVIOUS IMPEP REVIEW AND STATUS OF RECOMMENDATIONS The previous IMPEP review concluded on December 1, 2017. The final report is available in ADAMS using Accession Number ML18054A662. The results of the review and the status of the recommendations are as follows:

Technical Staffing and Training: Satisfactory Recommendation: None

Arkansas Follow-up Proposed Final IMPEP Report Page 2 Status of Materials Inspection Program: Satisfactory Recommendation: None Technical Quality of Inspections: Satisfactory Recommendation: None Technical Quality of Licensing Actions: Unsatisfactory Recommendation 1: Arkansas should provide additional training regarding the implementation of the Pre-Licensing guidance to ensure that staff understand how to properly identify unknown applicants and transfer of control requests, when completing the evaluation of the basis for confidence. (Section 3.4)

Status: Arkansas provided refresher training on their procedure, Guidance for Completion of Security Risk Checklists for Arkansas Radioactive Materials Licenses.

This procedure includes both the Pre-licensing Guidance checklist and the Risk Significant Radioactive Materials checklist. The team evaluated casefiles for new licenses and change of control amendments and determined that Arkansas staff was completing the current Pre-licensing Guidance Checklist issued August 2018.

The team determined this recommendation should be closed.

Recommendation 2: Arkansas should revise its procedures to ensure that the qualifications of preceptors are properly verified to attest to the training for new authorized users, authorized medical physicists, or radiation safety officers that are to be added to the licenses. (Section 3.4)

Status: Arkansas provided training regarding their procedure for Medical Preceptor Verifications. The team evaluated casefiles for amendments that added authorized medical users and found that Arkansas staff verified the preceptors qualifications for new authorized medical users, medical physicists or radiation safety officers that were added to the license for these actions.

The team determined this recommendation should be closed.

Recommendation 3: Arkansas should verify that all previously approved authorized users, authorized medical physicists, and radiation safety officers, where the preceptor is not listed on an Arkansas license, were properly qualified to act as a preceptor. (Section 3.4)

Status: Arkansas reported that they reviewed all 85 medical licenses and found that 15 out of the 200 amendments with preceptor statements had issues related to the verification of the preceptor. Arkansas stated that they re-reviewed these 15 actions and the preceptors were able to be verified. The team reviewed a sampling of these actions and determined that Arkansas verified the preceptors accordingly.

The team determined this recommendation should be closed.

Arkansas Follow-up Proposed Final IMPEP Report Page 3 Recommendation 4: Arkansas should establish a quality control/quality assurance process or similar tool to help improve the thoroughness, completeness, and consistency of the license reviews, as well as to ensure license reviews are of acceptable technical quality with health, safety, and security properly addressed, and that licensing requests are properly signed before taking any action on a proposed request. (Section 3.4).

Status: In response to this recommendation, Arkansas implemented a multi-step Quality Improvement Procedure to address the previous issues identified during the 2017 IMPEP review. However, the team identified similar issues with thoroughness and consistency of the license reviews; see Section 3.1 of this report for details.

The team determined this recommendation should be kept open but modified (Section 3.1 of this report).

Technical Quality of Incident and Allegation Activities: Satisfactory Recommendation: None Compatibility Requirements: Satisfactory Recommendation: None Overall finding: Adequate to protect public health and safety, but needs improvement, and compatible with the NRC's Program. Arkansas was placed on monitoring.

3.0 COMMON PERFORMANCE INDICATOR As mentioned in this report, this is a follow-up review which focused on the indicator, Technical Quality of Licensing Actions.

3.1 Technical Quality of Licensing Actions The quality, thoroughness, and timeliness of licensing actions can have a direct bearing on public health and safety, as well as security. An assessment of licensing procedures, actual implementation of those procedures, and documentation of communications and associated actions between the Arkansas licensing staff and regulated community is a significant indicator of the overall quality of the licensing program.

a. Scope The team used the guidance in State Agreements procedure SA-104, Reviewing the Common Performance Indicator: Technical Quality of Licensing Actions, and evaluated Arkansass performance with respect to the following performance indicator objectives:
  • Licensing action reviews are thorough, complete, consistent, and of acceptable technical quality with health, safety, and security issues properly addressed.
  • Essential elements of license applications have been submitted and elements are consistent with current regulatory guidance (e.g., financial assurance, increased controls, pre-licensing guidance).

Arkansas Follow-up Proposed Final IMPEP Report Page 4

  • License reviewers, if applicable, have the proper signature authority for the cases they review independently.
  • License conditions are stated clearly and can be inspected.
  • Deficiency letters clearly state regulatory positions and are used at the proper time.
  • Reviews of renewal applications demonstrate a thorough analysis of a licensees inspection and enforcement history.
  • Applicable guidance documents are available to reviewers and are followed (e.g.,

NUREG-1556 series, pre-licensing guidance, regulatory guides, etc.).

  • Licensing practices for risk-significant radioactive materials are appropriately implemented including increased controls and fingerprinting orders (Part 37 equivalent).
  • Documents containing sensitive security information are properly marked, handled, controlled, and secured.
b. Discussion During the follow-up review period, Arkansas performed 289 radioactive materials licensing actions. The team evaluated 25 radioactive materials licensing actions. The licensing actions selected for review included 2 new applications, 16 amendments, 2 renewals, 2 terminations, and 3 transfers of control notifications. The team evaluated casework which included the following license types and actions: medical diagnostic and therapy, accelerator, commercial manufacturing and distribution, industrial radiography, gauging devices, well logging, and financial assurance. The casework sample represented work from four license reviewers.

The team found that many of the licensing actions reviewed were thorough, complete, consistent, and of acceptable quality with health, safety, and security issues properly addressed. In response to the issues identified during the 2017 review, Arkansas implemented a quarterly Quality Improvement audit procedure. The team reviewed the audit results and found that while Arkansas was identifying errors in the licensing actions, there were still cases in which the team identified issues with license conditions.

These issues included licenses in which standard license conditions, authorized materials and use conditions, and medical user materials authorizations were not in accordance with Arkansass licensing procedures specified in RAM-01.1. Specifically, certain license conditions were old and obsolete, or used inconsistently; authorized medical users material authorizations were written inconsistently among licenses, and not in accordance with Arkansass licensing procedure; and an authorized material and use condition did not reflect the actual use of the material. The team did not identify any issues that were of health and safety, or security significance.

The team examined Arkansass licensing practices regarding requests for Risk Significant Radioactive Material (RSRM). The team determined that Arkansas has a licensing procedure to identify new and amended licenses that should be subject to additional security measures and that Arkansas is implementing the procedure.

However, the team found instances where Arkansas was not completing the checklist in cases where the request was to remove or decrease RSRM. Arkansas reported it was

Arkansas Follow-up Proposed Final IMPEP Report Page 5 not aware of this requirement (included in Step 1 of the RSRM checklist), but committed to complete the checklist for these cases as well.

The team determined that the appropriate Pre-Licensing Guidance checklist was being implemented in all applicable cases reviewed, including new license actions and change of control amendments. The team also determined that, as of February 2019, Arkansas is implementing a compatible procedure to the Pre-Licensing Guidance that was issued by the NRC in August 2018.

Based on the findings mentioned above, the team recommends that Arkansas continue to perform their quarterly Quality Improvement audits to ensure that licensing actions are thorough, consistent, and adhere to Arkansass licensing procedures pertaining to the use of standard license conditions, standard authorized use conditions and standard authorized medical user materials authorizations.

c. Evaluation The team determined that, except as noted below, during the review period, Arkansas met the performance indicator objectives listed in Section 3.1.1
  • Licensing action reviews were not thorough, complete, consistent, and of acceptable technical quality The team identified certain license conditions that were old and obsolete, or used inconsistently, for example several licenses contained conditions that were redundant to their regulations and no longer necessary. Arkansass licensing procedure states that during each amendment, the license reviewer should review the license conditions to determine that they are still current and applicable. The team found that authorized medical users, material authorizations for the use of materials for cardiology procedures, and the use of materials requiring a written directive were written inconsistently among licenses, and not in accordance with Arkansass licensing procedure. The team also identified one license in which an authorized material and use condition did not reflect the actual use of the material, i.e., the licensee possessed depleted uranium but the authorization for depleted uranium was missing, and the licensee was storing material at the licensed site although storage was not specifically authorized on the license. However, the team did not identify any issues that were of health and safety, or security significance.

Based on the IMPEP evaluation criteria in MD 5.6, the team recommends that Arkansass performance with respect to the indicator, Technical Quality of Licensing Actions, be found satisfactory, but needs improvement.

d. MRB Decision The final report will present the MRBs conclusion regarding this indicator.

Arkansas Follow-up Proposed Final IMPEP Report Page 6 4.0

SUMMARY

Arkansass performance was found to be satisfactory, but needs improvement for the performance indicator, Technical Quality of Licensing Actions. The team kept open and modified one recommendation (Recommendation 4) regarding Arkansas's performance, and determined that the other three recommendations from the 2017 IMPEP review should be closed.

Accordingly, the team recommends that the Arkansas Agreement State Program be found adequate to protect public health and safety, and compatible with the NRC's program. Due to the progress that Arkansas has made in improving their licensing program, the team recommends that the period of monitoring be discontinued. The team recommends that the next full IMPEP review take place in approximately 2 years from this review. In addition, the team recommends that a Periodic Meeting should be scheduled in approximately 1 year to assess Arkansass continued progress.

Below is the teams recommendation, as mentioned in the report, for evaluation and implementation by Arkansas:

The team recommends that Arkansas continue to perform their quarterly Quality Improvement audits to ensure that licensing actions are thorough, consistent, and adhere to Arkansass licensing procedures pertaining to the use of standard license conditions, standard authorized use conditions, and standard authorized medical user materials authorizations.

LIST OF APPENDICES Appendix A IMPEP Review Team Members Appendix B Periodic Meeting Summary

APPENDIX A IMPEP REVIEW TEAM MEMBERS Name Area of Responsibility Michelle Beardsley, NMSS Team Leader Technical Quality of Licensing Actions Randy Erickson, Region IV Periodic Meeting Vanessa Danese, Texas Technical Quality of Licensing Actions

APPENDIX B PERIODIC MEETING

SUMMARY

INTEGRATED MATERIALS PERFORMANCE EVALUATION PROGRAM PERIODIC MEETING WITH THE STATE OF ARKANSAS TYPE OF OVERSIGHT: MONITORING May 21, 2019

PERIODIC MEETING PARTICIPANTS NRC

  • Randy Erickson: State Agreements Officer, NRC Region IV State of Arkansas
  • Bernie Bevill: Section Manager
  • Jared Thompson: Program Manager
  • Steve Mack: Health Physicist
  • Angie Morgan Hill: Health Physicist
  • David Stephens, Health Physicist
  • Christopher Talley, Health Physicist

Arkansas Periodic Review Summary Page 1

1.0 INTRODUCTION

The results of the periodic meeting held between the U.S. Nuclear Regulatory Commission (NRC) and the State of Arkansas are contained in this report. The meeting was held on May 21, 2019. The meeting was conducted in accordance with NMSS Procedure SA-116 Periodic Meetings between IMPEP Reviews, dated June 3, 2009; and, was conducted concurrently with the 2019 follow-up IMPEP review.

The Arkansas Agreement State Program (Arkansas) is administered by the Radioactive Materials Program (the Program). The Program is one of three organizations within the Radiation Control Section, which is part of the Health Systems Licensing and Regulation Branch. The Health Systems Licensing and Regulation Branch is part of the Center for Health Protection, which is within the Arkansas Department of Health (the Department).

The director of the Department is the State Health Officer, who reports to the governor.

At the time of the meeting, the Arkansas Agreement State Program regulated approximately 176 specific licenses authorizing possession and use of radioactive materials. The meeting focused on the radioactive materials program as it is carried out under the Section 274b. (of the Atomic Energy Act of 1954, as amended) Agreement between the NRC and the State of Arkansas.

The Arkansas Agreement State Program has been subject to increased oversight by the NRC since February 2018. During a Management Review Board (MRB) held on February 13, 2018, to discuss the results of the December 2017 Integrated Materials Performance Evaluation Program (IMPEP) review, the MRB determined that the Arkansas Agreement State Program should be placed on Monitoring and overall found adequate to protect public health and safety but needs improvement, and compatible with the NRCs Program.

The timeframe for the next IMPEP review was shortened to 18 months and was held the week of May 20, 2019.

2.0 COMMON PERFORMANCE INDICATORS Five common performance indicators are used to review the NRC Regional Office and Agreement State radioactive materials programs during an IMPEP review. These indicators are (1) Technical Staffing and Training, (2) Status of Materials Inspection Program, (3) Technical Quality of Inspections, (4) Technical Quality of Licensing Actions, and (5) Technical Quality of Incident and Allegation Activities.

Because the periodic meeting was held concurrently with the follow-up IMPEP review, and licensing was the focus of that review, the periodic meeting was limited to a discussion of the indicators excluding the licensing indicator.

Arkansas Periodic Review Summary Page 2 2.1 Technical Staffing and Training (2017 IMPEP: Satisfactory)

Arkansas is made up of six full time equivalents which includes the Program Manager, four health physicists, and one administrative staff member. The health physicists are responsible for all licensing and inspection activities within the program. At the time of the 2017 IMPEP review, Arkansas had one vacancy which was filled shortly after the review. Since the 2017 IMPEP review, no staff have left Arkansas. Three of the health physicists are fully qualified and one is currently in training.

Arkansas has a documented training and qualification plan consistent with NRCs Inspection Manual Chapter (IMC) 1248, Qualification Programs for Federal and State Materials and Environmental Management Programs. Program management tracks continuing education requirements of 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> every two years and provides ample opportunities for staff to fulfill this requirement.

2.2 Status of the Materials Inspection Program (2017 IMPEP: Satisfactory)

Arkansass inspection frequencies are the same as the NRCs inspection frequencies that are listed in IMC 2800. At the time of the meeting, no inspections were currently overdue, and none had been performed overdue during the review period. Arkansas issued 4 new licenses during the review period and all initial inspections of those licenses were performed within the 12-month requirement.

Arkansas reported they have been meeting the 20 percent requirement for performing reciprocity inspections this review period. Arkansas continues to perform annual supervisor accompaniments of each inspector with none being missed since the previous review. Additionally, inspection reports are typically issued within 30 days of the inspection exit meeting with the licensee.

2.3 Technical Quality of Inspections (2017 IMPEP: Satisfactory)

Inspection guidance used by Arkansas is equivalent to the NRCs IMCs and Inspection Procedures. Arkansas issues all inspection findings, regardless of whether there is a violation, by written correspondence from the office. Inspection findings are routinely sent to the licensee within 30 days of the completion of an inspection.

2.4 Technical Quality of Licensing Actions (2017 IMPEP: Unsatisfactory)

The licensing indicator and the four associated recommendations were reviewed during the IMPEP portion of the review.

Arkansas Periodic Review Summary Page 3 2.5 Technical Quality of Incident and Allegation Activities (2017 IMPEP: Satisfactory)

Arkansas has procedures and processes in place to maintain effective responses to incidents and allegations. When an event is reported to Arkansas, the Program Manager evaluates the event to determine its health and safety significance and then decides on the appropriate response. That response can range anywhere from responding immediately to reviewing the event during the next inspection. When an event is determined to have high health and safety significance, inspectors are dispatched immediately.

Since the 2017 IMPEP review, a total of eight events had been reported to the Nuclear Materials Events Database (NMED) by Arkansas. At the time of the periodic meeting all but one had been reviewed and closed. No allegations had been received from NRC or directly by Arkansas during this time; however, when allegations are received they are reviewed by Arkansas, concerned individuals are notified of the actions taken, and allegers identities are protected whenever possible in accordance with state law.

3.0 NON-COMMON PERFORMANCE INDICATORS Four non-common performance indicators are used to review Agreement State programs: (1) Compatibility Requirements, (2) Sealed Source and Device (SS&D)

Evaluation Program, (3) Low-Level Radioactive Waste Disposal (LLRW) Program, and (4) Uranium Recovery (UR) Program. The NRCs Agreement with Arkansas retains regulatory authority for SS&D and UR; therefore, only the first and third non-common performance indicator applied to this meeting.

3.1 Compatibility Requirements (2017 IMPEP: Satisfactory)

At the time of the periodic meeting there were no regulation amendments overdue for adoption, nor were any submitted late. One legislative change affecting the Radioactive Materials Program has occurred since the last IMPEP review. Arkansass requirements will change from Rules and Regulations to Rules. This will require the Radioactive Materials Program to amend all of its regulations, licenses/license conditions, etc. to remove references to the word, regulation. Regulations applicable to Arkansas are not subject to sunset requirements.

3.2 Low-Level Radioactive Waste (LLRW) Disposal Program (2017 IMPEP: Not reviewed)

In 1981, the NRC amended its Policy Statement, "Criteria for Guidance of States and NRC in Discontinuance of NRC Regulatory Authority and Assumption Thereof by States Through Agreement," to allow a State to seek an amendment for the regulation of LLRW as a separate category. Although Arkansas has authority to regulate a LLRW disposal facility, the NRC has not required States to have a program for licensing a disposal

Arkansas Periodic Review Summary Page 4 facility until such time as the State has been designated as a host State for a LLRW disposal facility. When an Agreement State has been notified or becomes aware of the need to regulate a LLRW disposal facility, it is expected to put in place a regulatory program that will meet the criteria for an adequate and compatible LLRW disposal program. There are no plans for a commercial LLRW disposal facility in Arkansas.

Accordingly, this indicator was not reviewed.

4.0

SUMMARY

Within the scope of the periodic meeting, no programmatic concerns were noted at this time. Arkansas is an effective and vital part of the Arkansas Department of Health.

Arkansas continues to effectively manage its inspection activities and is responding to incidents and allegations as appropriate.

Agenda for Management Review Board Meeting August 8, 2019, 1:00 p.m. - 4:00 p.m. (ET), OWFN-17B04

1. Meeting Convened.
a. Announcement of public meeting.
b. Request for members of the public to indicate they are participating and their affiliation.
c. Introduction of MRB members, review team members, State representatives, and other participants.
2. MRB Chair Convenes the Business Portion of the Meeting
a. Consideration of the Arkansas Agreement State IMPEP Report.
b. Presentation of Findings Regarding Arkansass Program and Discussion.
i. Technical Quality of Licensing Actions
c. IMPEP Team Recommendations.
d. MRB Consultation/Comments on Issuance of Report.
e. Request for comments from Arkansas representatives, OAS Liaison, and State IMPEP team members.
f. Overall MRB Determination
3. MRB Chair Closes the Business Portion of the Meeting
4. Questions or comments from members of the public.
5. Meeting adjournment.

Enclosure 3